US: Trump Administration threatens 100% tariffs on EU digital tax plans

07 July, 2026

US President Donald Trump, on 26 June, warned that any new European digital services tax targeting American companies would trigger immediate 100% tariffs, complicating ongoing trade negotiations.

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Turkey issues final guidance on new corporate income tax incentives

07 July, 2026

General Communiqué No. 26 sets out detailed rules on the reduced corporate income tax regime for manufacturers and agricultural producers, while confirming transitional measures and practical guidance introduced under recent legislative amendments.

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Panama: DGI updates transfer pricing reporting form ahead of 2026 filing season

07 July, 2026

Panama's DGI rolls out Form 930 V:3 for the 2026 tax year, adding financial, related-party, and fixed-asset annexes that ask for far more granular transaction data than the old form did.

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Spain opens 2025 corporate income tax filing

07 July, 2026

The Spanish Tax Agency has opened the 2025 Companies Campaign, with the Corporate Income Tax filing period starting on 1 July 2026 and updated guidance, tax data access and digital filing tools now available to taxpayers.

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Chile: SII clarifies carbon credits deductible only for own emissions

07 July, 2026

Chile's tax authority rules that carbon credits bought to cover a company's own emissions count as a deductible expense, but credits bought for resale must be booked as intangible assets and written off only when sold. 

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China ends tax breaks for new energy, energy-saving vehicles from 2027

07 July, 2026

China will eliminate vehicle and vessel tax exemptions for pure electric, plug-in hybrid, and fuel cell commercial vehicles from 1 January 2027.  

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Italy gazettes consolidated Income Tax Code effective from 2027

07 July, 2026

Italy has enacted a consolidated Income Tax Code that brings existing income tax legislation into a single legal text, reorganising the rules and repealing obsolete provisions ahead of its entry into force on 1 January 2027.

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Singapore: IRAS clarifies treatment of gains from the disposal of foreign assets

07 July, 2026

IRAS has clarified that a Singapore-incorporated non-pure equity-holding entity qualified as an excluded entity under Section 10L of the Income Tax Act 1947 after meeting the required economic substance criteria, confirming that gains from a planned foreign asset disposal received in Singapore will not be subject to tax for the specified assessment years.

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Canada initiates pre-2026 budget consultations

07 July, 2026

Canada's Department of Finance has launched pre-budget consultations ahead of Budget 2026, inviting Canadians to submit views on spending and policy priorities until 8 September 2026 to help shape the government's fiscal agenda.

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Nigeria rolls out presumptive tax regime for informal sector, bans cash and roadblock collection

07 July, 2026

Nigeria's Joint Revenue Board sets a 1% turnover tax and 2% capital gains levy for informal businesses under rules effective 1 January 2026, exempting nano businesses earning NGN 12 million or less.

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