Belgium amends advance RIR supplementary tax payments under Pillar 2 rules
Belgium has updated advance payment procedures for the RIR supplementary tax under Pillar 2 rules, requiring entities to make individual payments using unique structured communication codes from 2026, while QDMTT payment procedures remain unchanged.
Read MoreGermany enacts law to strengthen financial sector, promote private investments
Germany’s new law, effective 10 February 2026, boosts private investment with tax incentives, VAT cuts, and regulatory simplifications. Key measures include higher commuter allowances, extended mobility benefits, and expanded non-profit thresholds.
Read MoreIreland: Large corporations to be considered for Phase One rollout of e-invoicing
Ireland’s Revenue confirmed that VAT-registered large corporations will fall within Phase One of the VAT Modernisation programme, requiring domestic B2B e-invoicing and data reporting from 1 November 2028 as part of preparations for the EU’s VAT in the Digital Age (ViDA) initiative.
Read MoreMalta introduces excise duty on nicotine pouches from April 2026
Legal Notice 38 of 2026 amends the Excise Duty Act to apply excise duty to nicotine pouches from 1 April 2026, updating the Fifth and Sixth Schedules and setting out compliance requirements and penalties.
Read MoreAlbania shortens tax amendment deadlines, updates VAT procedures
Albania’s government has shortened tax amendment deadlines and updated VAT procedures, requiring taxpayers to review automatically filed returns. Reforms under Law No. 79/2025 also introduce mandatory POS terminals, electronic notices, and online seller registration.
Read MoreVenezuela enacts hydrocarbons law reform with new tax, royalty regime
Venezuela’s Organic Hydrocarbons Law was reformed on 31 January 2026, introducing a new 15% tax and updated royalties of up to 30%. Legacy taxes are repealed, exemptions are granted, and existing projects receive a 180-day transition period.
Read MoreArgentina regulates tax innocence regime, exempts interest on dollar deposits from withholding tax
Argentina's new Tax Innocence Regime decriminalizes tax evasion, raises enforcement thresholds to ARS 100 million and slashes the statute of limitations from 5 to 3 years, offering millions a fresh start with streamlined compliance, pre-filled returns, and a 50% penalty reduction for those who regularise within 45 days.
Read MoreSpain extends select depreciation incentives, higher simplified VAT threshold through 2026
Spain’s Royal Decree-Law 2/2026 restores housing, energy, employment, tax, and territorial financing measures previously extended under Royal Decree-Law 16/2025. The decree protects vulnerable households, maintains energy discounts, extends tax incentives for green investments, and ensures public funding and disaster relief support through 2026.
Read MoreRomania: MoF unveils comprehensive economic recovery plan
Romania unveils a major fiscal reform package aimed at boosting investment and streamlining tax compliance, featuring incentives for timely tax payments, increased VAT thresholds to improve cash flow, and targeted support for strategic projects worth at least RON 1 billion across priority sectors, including manufacturing, defence, and green technology.
Read MoreCorporate Tax
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ICC: Economic Impact of UN Model Article 12AA on Cross-Border Services
12 February, 2026
A report released by the International Chamber of Commerce (ICC) on 3
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Argentina regulates tax innocence regime, exempts interest on dollar deposits from withholding tax
11 February, 2026
Argentina’s tax authority (ARCA) announced on 9 February 2026 that it
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Romania: MoF unveils comprehensive economic recovery plan
11 February, 2026
Romania's Ministry of Finance has published a comprehensive fiscal and
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Germany enacts law to strengthen financial sector, promote private investments
11 February, 2026
Germany published the Act on the promotion of private investment and the
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Belgium amends advance RIR supplementary tax payments under Pillar 2 rules
11 February, 2026
Belgium’s Federal Public Service (SPF) Finance announced on 9 February
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Nigeria: NRS scraps road tax credit scheme over verification challenges
10 February, 2026
The Nigeria Revenue Service (NRS) has ended the road infrastructure tax
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Italy: Agricultural businesses with cadastral income can access special economic zone tax credit
10 February, 2026
Italy's Revenue Agency has clarified in Response No. 25 on 9 February 2026
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Nicaragua tax authority establishes January 2026 tax filing dates
10 February, 2026
Nicaragua’s tax authority (DGI) issued Notice No. 019-02-2026 on 2
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Chile: SII announces 2026 compliance risk management plan
10 February, 2026
Chile’s tax authority (SII) has presented its 2026 Tax Compliance
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Italy finalises global minimum tax declaration form for multinational groups
10 February, 2026
Italy's Revenue Agency issued a directive on 6 February 2026, approving
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Transfer Pricing
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OECD introduces manual on mutual agreement procedures via technical webinar
11 February, 2026
The OECD hosted a technical webinar on the revised Manual on Effective Mutual Agreement Procedures (MEMAP) on 10 February 2026, in support of the broader focus of the BEPS Inclusive Framework and the Forum on Tax Administration (FTA) on improving international tax dispute
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Colombia: DIAN highlights 2025 transfer pricing adjustment requirements
10 February, 2026
Colombia’s tax authority (DIAN) has issued a notification, on 6 February 2026, for large taxpayers subject to the transfer pricing regime to make any required transfer pricing adjustments when filing their 2025 fiscal year income tax return. As filing deadlines approach,
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India: Tax Authority appeals high court ruling on treaty limits to dividend tax
06 February, 2026
The Indian Income Tax Department filed a special leave petition before the Supreme Court on 30 January 2026, challenging a Bombay High Court ruling that held Dividend Distribution Tax (DDT) could be limited by applicable tax treaties. The appeal seeks to overturn a decision that
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OECD updates manual on effective mutual agreement procedures
06 February, 2026
The OECD has released updated guidance by the Inclusive Framework on BEPS on 2 February 2026, aimed at improving tax certainty by helping tax administrations and taxpayers resolve cross-border tax treaty disputes in an efficient, effective and timely manner. The Manual on
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US: IRS releases US–Spain competent authority agreement on arbitration
05 February, 2026
The US Internal Revenue Service (IRS) has released Internal Revenue Bulletin No. 2026-6 on 2 February 2026. The bulletin includes Announcement 2026-3, which sets out the Competent Authority Arrangement agreed between the US and Spain to implement the arbitration procedure
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France simplifies EU public CbC reporting rules
05 February, 2026
France adopted new rules on 28 December 2025 to streamline compliance with the EU public CbC reporting directive (Directive (EU) 2021/2101), fully aligning national law with EU requirements and implementing the multiple reporting exemption. The directive, effective for
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Latvia introduces controlled transactions report to streamline transfer pricing compliance
02 February, 2026
Latvia has significantly reshaped its transfer pricing compliance framework from 1 January 2026, following amendments to the Law “On Taxes and Fees” adopted at the end of 2025. The changes are designed to modernise reporting requirements, reduce administrative burdens for
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Poland proposes new digital services tax legislation
30 January, 2026
Poland’s Ministry of Digital Affairs announced on 27 January 2026 that it has submitted draft legislation to introduce a Digital Services Tax (DST). First discussed in August 2025, the draft proposes a DST of up to 3% on a broad range of digital services, expanding beyond
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China releases 16th annual APA report (2024), highlighting strong growth, efficiency
30 January, 2026
China’s State Taxation Administration (STA) published its 16th Annual Advance Pricing Agreement (APA) Report on 25 November 2025, providing a comprehensive overview of the country’s APA programme and its development between 2005 and 2024. The report highlights steady
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Belgium updates Local File form, clarifies use of ‘Termination of CBC notification obligation’
30 January, 2026
Belgium’s Federal Public Service (SPF) Finance has released a BEPS13 News update detailing the new Local File form issued in December 2025 and providing guidance on using the “Termination of notification obligation” for CbC filings (275.CBC.NOT). New Local File
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Most Read
Cameroon releases 2026 Finance Law, includes new rules for digital giants, green levies
Cameroon’s Ministry of Finance issued a circular on the execution of the 2026 Finance Law, providing guidance on its implementation and outlining
Read MoreTaiwan: NRNTB mandates e-invoicing requirements for sales returns, purchase returns, discounts
Taiwan businesses must issue and upload electronic credit notes for returns or discounts to comply with tax rules. Regfollower Desk The National
Read MoreFrance simplifies EU public CbC reporting rules
France adopted new rules on 28 December 2025 to streamline compliance with the EU public CbC reporting directive (Directive (EU) 2021/2101), fully
Read MoreAlgeria: 2026 Finance Law revises tax rules for non-residents and PEs, adds green incentives
Algeria’s Ministry of Finance has gazetted the Finance Law for 2026 on 31 December 2025. The Finance Law for 2026 sets out the national budget,
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