Austria: Draft Budget Accompanying Act 2027β2028 sets out progressive CIT rate
Austria's government has submitted a draft budget bill for 2027β2028 introducing a progressive corporate tax rate, increased alcohol duty, new anti-abuse rules and reduced family benefit indexation as part of...
Read MoreBelgium gazettes decree on QDMTT, IIR return forms for 2025 assessment year
Belgium has published Royal Decrees (5 June 2026) in Official Gazette No. 129 establishing return forms for both the Qualified Domestic Minimum Top-Up Tax (QDMTT) and the Income Inclusion Rule (IIR) applicable to the 2025 assessment year.
Read MorePortugal further extends CIT deadline for Form 22 filing, payment
Portugal has granted a second extension for the submission of the periodic corporate income tax return (Form 22) and related payment for the 2025 tax period, allowing taxpayers to file until 30 June 2026 without penalties after more than 100,000 returns remained outstanding.
Read MoreUAE: FTA opens Pillar Two Top-up tax registration through EmaraTax
FTA has opened Pillar Two top-up tax registration through the EmaraTax portal, requiring in-scope multinational enterprise groups to prepare registration data and assess compliance obligations, although detailed guidance on registration deadlines and procedures has yet to be issued.
Read MoreHong Kong: Government welcomes passage of Inland Revenue (Amendment) (Automatic Exchange of Information) Bill 2026
Hong Kong's Legislative Council has passed the Inland Revenue (Amendment) (Automatic Exchange of Information) Bill 2026 on 17 June 2026, strengthening the AEOI administrative framework with new requirements effective 1 January 2027, including mandatory financial institution registration, enhanced due diligence, and increased penalties.
Read MoreSouth Africa issues guidance on global minimum tax filing requirements for MNEs
SARS has issued guidance detailing how in-scope multinational enterprises must submit the GMT01, GMT02 and related tax calculations through eFiling, including filing deadlines, documentation requirements and payment procedures under the Global Minimum Tax framework.
Read MoreVietnam clarifies reporting obligations under CbC MCAA
Vietnamβs Department of Taxation has issued guidance on Country-by-Country Reporting obligations, confirming that CbC Reports filed by foreign Ultimate Parent Entities in jurisdictions with activated exchange relationships will be received through the Automatic Exchange of Information mechanism rather than direct submission by taxpayers.
Read MoreSri Lanka: IRD notifies taxpayers of May 26 VAT, VAT on FS filing deadlines
Sri Lankaβs Inland Revenue Department has reminded taxpayers of their VAT and VAT on Financial Services obligations for May 2026, emphasising the importance of timely payments, accurate return filing, and compliance with input tax credit rules to avoid penalties and the loss of eligible tax claims.
Read MoreBelgium consults draft undertaxed payments rule (UTPR) top-up tax return for 2025
Belgium's Federal Public Service Finance has opened a public consultation, running until 3 July 2026, on a draft UTPR top-up tax return form and explanatory guidance for the 2025 assessment year, covering electronic filing, representative agent requirements, and safe harbour reporting under Pillar Two.
Read MoreNetherlands: Exit payments from departing cooperative members are taxable profit
The Dutch Tax Administration's Knowledge Group has ruled that exit payments made by departing cooperative members are not capital contributions but taxable business profit, where the payment is linked to the cancellation of a delivery obligation rather than membership status itself.
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Corporate Tax
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Italy: Supreme Court rules treaty rights override domestic filing requirements in double taxation cases
19 June, 2026
Italyβs Supreme Court, in Ordinance No. 16134 of 25 May 2026, held that
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Taiwan highlights key changes under renewed Singapore tax agreement
19 June, 2026
Taiwanβs National Taxation Bureau of the Central Area, Ministry of
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Germany clarifies permanent establishment rules in updated tax guidance
19 June, 2026
Germany's Federal Ministry of Finance has issued updated guidance on the
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South Africa issues guidance on global minimum tax filing requirements for MNEs
19 June, 2026
The South African Revenue Service (SARS) has published guidance outlining
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Belgium consults draft undertaxed payments rule (UTPR) top-up tax return for 2025
19 June, 2026
Belgium has launched a public consultation on a draft undertaxed payments
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Transfer Pricing
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Vietnam clarifies reporting obligations under CbC MCAA
19 June, 2026
Vietnam's Department of Taxation has released Official Letter No.
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Romania issues draft order to replace 2016 transfer pricing rules with OECD-aligned framework
18 June, 2026
Romaniaβs National Agency for Fiscal Administration has issued a draft
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UK: HMRC consults draft International Controlled Transactions Schedule (ICTS)
18 June, 2026
The UKβs His Majesty's Revenue and Customs (HMRC) has launched a
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Taiwan: MOF clarifies reasonable interest on inter-company lending arrangements
17 June, 2026
Taiwan's Ministry of Finance (MoF) has released a notice on 1 June 2026,
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Singapore: IRAS issues new guidance on tax treatment of related party payments
12 June, 2026
The Inland Revenue Authority of Singapore (IRAS) has updated its guidance
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Tax Policy
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Austria: Draft Budget Accompanying Act 2027β2028 sets out progressive CIT rate
19 June, 2026
Austriaβs government has submitted the Draft Budget Accompanying Act
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IMF urges Serbia to strengthen tax administration and transparency reforms to support growth
18 June, 2026
On 15 June 2026 the IMF issued a report following the Third Review under
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IMF urges Ukraine to reform tax system, tackle informal economy to support growth and revenue mobilisation
18 June, 2026
On 12 June 2026 the IMF issued a report following discussions with the
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IMF study finds R&D tax incentives drive innovation only when skilled research talent is available
18 June, 2026
An IMF working paper with the title βInnovation, Human Capital, and
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South Africa: SARS updates average exchange rates for foreign currency tax calculations
17 June, 2026
The South African Revenue Services (SARS) released updated Average
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Tax Treaty
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UK: HMRC consults close company participator reporting
The UKβs HM Revenue & Customs (HMRC) has initiated a public consultation on proposed rules for reporting transactions between close companies
Read MoreOECD issues new guidance on Pillar Two global minimum tax compliance
The OECD has released crucial administrative guidance to help multinational corporations navigate the complex filing requirements of the Pillar Two
Read MoreAustralia: ATO releases overview of Australian company tax rates for 2025-26
The Australian Taxation Office (ATO) has revised its guidance on company tax rates, providing an updated overview of the applicable rates for the
Read MoreOECD publishes updated GIR MCAA signatories list
The Organisation for Economic Co-operation and Development (OECD), on 29 May 2026, released an updated list of signatories to the Multilateral
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