Switzerland: FTA clarifies Pillar Two Side-by-Side Package application

08 April, 2026

Switzerland has clarified the application of Pillar Two Side-by-Side Package safe harbour rules and Article 9.1 administrative guidance, including timing, DTA treatment, implications for top-up tax filings under the OMinT.

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Qatar: GTA issues guidance on Pillar Two global minimum tax

08 April, 2026

The guidance details Qatar's Global and Domestic Minimum Tax framework, aligned with the OECD's Pillar Two rules, requiring multinational enterprises with annual revenues exceeding EUR 750 million to pay a minimum effective tax rate of 15% on profits, with the regime in force for fiscal years beginning on or after 1 January 2025. 

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Finland: Tax authority issues reminder for 2025 corporate tax filing deadline

08 April, 2026

A range of entities, including limited liability companies, housing or real estate companies, associations, foundations, municipalities, and foreign corporations are required to file their corporate tax returns within the deadline.  

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Russia urges individuals to submit CFC notifications before April deadline

08 April, 2026

The Russian Federal Tax Service has urged individuals to file annual notifications on controlled foreign companies (CFCs), including required supporting documents for exemptions or profit verification. Late submissions may incur a RUB 500,000 penalty.

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Italy boosts tax credits for energy-efficient investments, offers relief for rising fuel costs

08 April, 2026

The Italian government’s Energy Decree introduces temporary cuts to fuel excise duties, recalculated tax credits for business investments, and a special fuel credit for farmers, effective from 8 April to 1 May 2026, aiming to ease energy costs and support sustainable projects.

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Colombia: DIAN issues 2025 exogenous information reporting deadlines

08 April, 2026

The authority has urged large taxpayers, companies, and individuals to confirm their exact filing dates, follow the updated technical guidance, and ensure timely compliance to avoid system congestion and potential penalties.

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Cyprus enacts DAC8 amendments with lawyer privilege, client notification rule clarifications

08 April, 2026

Cyprus has introduced DAC8-driven amendments to its tax cooperation framework, effective 1 January 2026, refining reporting obligations for cross-border arrangements and clarifying the treatment of intermediaries protected by legal privilege.

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Kuwait revises withholding rules with DMTT exemption under FY 2026/27 budget regulations

08 April, 2026

Kuwait has implemented the Budget Executive Regulations for FY 2026/2027, effective 1 April 2026, revising payment retention rules for government entities. Ministries, government bodies, and public institutions must retain 5% of payments under contracts, agreements, or transactions until a tax clearance certificate from the Ministry of Finance is provided.

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Bolivia cuts corporate tax burden for zero-rated VAT businesses

08 April, 2026

Bolivia has introduced a tax reform allowing businesses operating under the “zero rate” VAT regime to deduct previously non-creditable 13% VAT on purchases, reducing their Corporate Income Tax (IUE) burden and improving cash flow from 7 April 2026.  

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Australia: ATO updates fuel tax credit rates from April 2026 after temporary excise cut 

08 April, 2026

The Australian Taxation Office has advised businesses to review the fuel tax credit rates applicable to their next claim, following changes that took effect on 1 April 2026. 

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