Serbia sets 2026 arm’s length interest rates for related party loans

30 April, 2026

Serbia's Finance Ministry has established mandatory arm's length interest rates for related party loans in 2026, with differentiated rates for banks and other companies across multiple currencies, effective from 2...

Read More

Malaysia issues new exchange rate rules for sales and service tax invoicing

30 April, 2026

The Royal Malaysian Customs Department has published Public Ruling No. 1/2026, effective 31 March 2026, establishing mandatory exchange rate sources and consistency requirements for businesses issuing tax invoices in foreign currencies, with penalties for noncompliance, including invalid invoices and potential goods seizure.

Read More

Poland to update VAT rules under EU Digital Age Directive 

30 April, 2026

Poland's Ministry of Finance has published draft VAT amendments to comply with EU Directive 2025/516, introducing key changes to e-commerce rules, marketplace liability, and energy supply taxation. The reforms, effective from 1 January 2027, will simplify cross-border compliance through expanded One Stop Shop provisions and clarified threshold calculations for the PLN 42,000 intra-Community sales limit.

Read More

France expands list of CbC reporting partner jurisdictions

30 April, 2026

Ministerial Order of 24 April 2026 revises jurisdictions eligible for exemption from local filing under CbC rules. New jurisdictions added reflect updated exchange agreements and compliance with reporting requirements.

Read More

Brazil rules US LLCs owned by Brazilian residents are privileged tax regimes

30 April, 2026

The Brazilian tax authority has ruled that US Limited Liability Companies owned by Brazilian residents must be treated as privileged tax regimes, requiring automatic year-end taxation regardless of profit distribution. The decision affects Brazilians using the popular pass-through structure for business and investment purposes.

Read More

OECD: Global Forum introduces new programme for cross-border tax claim recovery assistance

30 April, 2026

The OECD and Belgium's Federal Public Service Finance have launched an eight-month training programme to help 34 participants from 22 jurisdictions across Africa, Asia, the Caribbean, Europe, Latin America and the Pacific strengthen their capacity to recover tax claims across borders and combat tax evasion. 

Read More

Australia: ATO reminds taxable not-for-profits of upcoming income tax return lodgment deadline

30 April, 2026

The Australian Taxation Office has reminded taxable not-for-profit organisations that the deadline to lodge their 2024–25 income tax return or non-lodgment advice is 15 May 2026, with lodgment options available through a registered tax agent, by paper, or via SBR-enabled software.

Read More

OECD releases peer review reports on tax transparency for eight jurisdictions

30 April, 2026

The OECD’s Global Forum has published eight peer review reports on transparency and exchange of information on request for tax purposes covering Belize, Cambodia, El Salvador, Gabon, Guinea, Montserrat, Niue and Vanuatu. The reviews assess compliance with the EOIR standard, with ratings ranging from “Compliant” to “Non-Compliant” and highlight areas requiring legal and implementation improvements.

Read More

Hungary referred to EU Court over contested retail tax regime on foreign retailers

30 April, 2026

The European Commission has referred Hungary to the Court of Justice of the European Union over its retail tax regime, which it considers incompatible with EU rules on freedom of establishment under Articles 49 and 54 of the TFEU. It says Hungary has not removed the disputed tax despite earlier infringement steps and a commitment to phase it out, and that it continues to disadvantage foreign-controlled retailers.

Read More

Ireland: Revenue updates ILP tax guidance under Finance Act 2025

30 April, 2026

Irish Revenue has issued updated guidance on the tax treatment of Investment Limited Partnerships (ILPs) in eBrief No. 87/2026, reflecting changes introduced by the Finance Act 2025 and setting out revised withholding tax and compliance rules in new TDM Part 27-01a-04.

Read More

Corporate Tax

Transfer Pricing

Tax Policy

Most Read