UK: HMRC publishes draft side-by-side package, domestic top-up tax rules for multinationals

14 July, 2026

HMRC has released draft legislation transposing the OECD's Side-by-Side package into the UK's Pillar Two regime, effective for accounting periods beginning on or after 1 January 2026, alongside further technical...

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Austria: Nationalrat approves 24% higher CIT rate in 2027–2028 budget

14 July, 2026

Austria's parliament has approved the 2027–2028 Budget, introducing tax measures and broader reforms affecting businesses, households, public administration and infrastructure.

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Greece: AADE extends filing deadline for 2025 corporate, personal income tax returns

14 July, 2026

AADE has extended the deadline for filing personal and corporate income tax returns for the 2025 tax year following requests from professional organisations.

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Lithuania consults transfer pricing documentation, arm’s length range draft guides

14 July, 2026

Lithuania's State Tax Inspectorate opened public consultation on two new draft guides covering arm's length range construction and transfer pricing documentation for controlled transactions, with comments due by 14 August 2026.

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Greece enacts sweeping law on housing, debt settlement, energy relief and tax measures

14 July, 2026

Greek Law 5313 introduces measures on housing support, debt restructuring, energy relief, gambling regulation and tax administration, alongside changes to tax incentives and debt settlement rules.

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Singapore: IRAS issues advance ruling on offshore dividend payments

14 July, 2026

The Inland Revenue Authority of Singapore (IRAS) on 1 Jul 2026 published Advance Ruling Summary No. 10/2026, confirming that foreign-sourced dividend income paid directly from an offshore bank account to a shareholder's offshore account is not regarded as income received in Singapore under Section 10(25) of the Income Tax Act 1947 (ITA), subject to specified conditions.

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Turkey publishes list of jurisdictions recognised for global minimum tax framework

14 July, 2026

Presidential Decision No. 11511, published in the Official Gazette on 11 July 2026, identifies jurisdictions that apply the Qualified Domestic Minimum Top-up Tax (QDMTT) safe harbour, QDMTT, and the Income Inclusion Rule (IIR), with effect for accounting periods beginning on or after 1 January 2024.

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UK: HMRC launches advance tax certainty service for major investment projects

14 July, 2026

Businesses undertaking major UK investment projects can now apply for binding tax clearances, with HMRC aiming to issue decisions within 90 days of a formal application.

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Australia: ATO publishes exchange rates for financial year ending June 2026

14 July, 2026

The Australian Taxation Office has published the annual average and 30 June 2026 closing exchange rates for 18 currencies for the 2025–26 financial year, which taxpayers must use to convert foreign income, deductions and foreign tax paid into AUD.

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Morocco: Lower House approves legislation to ratify MCAA-CbC

14 July, 2026

Morocco's Chamber of Representatives approved Bill No. 76.19 on 6 July 2026, ratifying the Multilateral Competent Authority Agreement on the Exchange of Country-by-Country Reports that Morocco signed on 25 June 2019.

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