Belgium gazettes model form for qualified domestic minimum top-up tax

03 June, 2026

Belgium has published the official return form for its Pillar Two domestic minimum top-up tax (QDMTT), requiring multinational enterprises and large domestic groups to file detailed tax structure and income...

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Bolivia: SIN further extends 2025 filing deadline for financial statements, transfer pricing documentation

03 June, 2026

Bolivia's National Tax Service has extended filing deadlines for financial statements, transfer pricing studies, and related documentation to 30 June 2026, granting taxpayers an additional month to meet their corporate tax reporting obligations for the 2025 fiscal year. 

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OECD publishes updated GIR MCAA signatories list

03 June, 2026

The OECD has released an updated list of signatories to the Multilateral Competent Authority Agreement on the Exchange of Global Anti-Base Erosion (GloBE) Information Returns, showing 36 participating jurisdictions as of 29 May 2026.

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Czech Republic sets 1 July deadline for top-up tax information returns as OECD guidance takes effect

03 June, 2026

Multinational groups in the Czech Republic must file top-up tax returns by 1 July 2026 under new rules enforcing a 15% global minimum corporate tax rate.  

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Turkey clarifies domestic minimum corporate income tax, REIT exemption rules

03 June, 2026

General Communiqué No. 25 sets out guidance on domestic minimum corporate income tax, REIT profit distribution requirements, exemption treatment and the reintroduced fourth advance tax period, effective from 24 May 2026.

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UK: HMRC updates DOTAS guidance on disclosure rules, reporting duties, and penalties

03 June, 2026

The UK HM Revenue & Customs (HMRC) has revised its guidance outlining the statutory requirements for the Disclosure of Tax Avoidance Schemes (DOTAS) regime on 29 May 2026. The Disclosure of Tax Avoidance Schemes (DOTAS) regime is designed to

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Sweden proposes statutory definition of permanent residence for tax purposes

03 June, 2026

Sweden has proposed a statutory definition of “permanent residence” in the Income Tax Act, introducing day-count thresholds of 160 days per year or 120 days over two consecutive years to determine unlimited tax liability. The changes are scheduled to take effect from 1 January 2027.

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South Africa: SARS updates global minimum tax return, payment guidance

03 June, 2026

SARS issues revised guidance for global minimum tax returns and payments, including updated submission procedures, payment rules, and filing deadlines for multinational enterprise groups subject to Pillar Two top-up tax obligations.

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US: Trump Administration adjusts steel, aluminium tariffs in new proclamation

03 June, 2026

President Trump has revised his Section 232 metal tariffs with a mix of relief and constraint—cutting rates on steel and aluminium derivatives while tightening restrictions on new product categories and lowering the threshold for what counts as American-made, signalling a shift toward incentivising domestic sourcing over blanket protectionism.

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US: Trump Administration imposes tariffs on 60 economies over forced labour violations

03 June, 2026

The Trump administration is slapping 10% and 12.5% tariffs on 60 countries for failing to address forced labour in their supply chains, marking the latest salvo in its tariff offensive as it seeks to restore trade barriers struck down by the Supreme Court in February.

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