Kuwait joins OECD agreement on exchange of CbC reports

26 June, 2026

The OECD has announced that Kuwait signed the Multilateral Competent Authority Agreement on the Exchange of Country-by-Country Reports (CbC MCAA) on 22 June 2026, further expanding the international framework for the automatic exchange of

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Vietnam issues guidance on CbC reporting through automatic exchange of information

26 June, 2026

Vietnam's General Department of Taxation has issued guidance on the implementation of Country-by-Country Reporting (CbCR) exchange relationships under the Multilateral Competent Authority Agreement on the Exchange of Country-by-Country Reports (CbC

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Australia: ATO revises guidance on mutual agreement procedure requests

26 June, 2026

The Australian Taxation Office (ATO) has updated its guidance on 19 June 2026 regarding requests for mutual agreement procedures (MAPs) to resolve cross-border tax disputes arising from alleged violations of double taxation agreements (DTAs). This

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Chile: SII launches benchmark tool to assess transfer pricing risk

24 June, 2026

Chile’s Internal Revenue Service (SII) announced, on 23 June 2026, that it has unveiled industry-specific benchmark indicators enabling distribution companies to evaluate their transfer pricing compliance and identify potential tax risks. The

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Peru: SUNAT extends deadline for local file submissions 2025

22 June, 2026

Peru's National Superintendency of Customs and Tax Administration (SUNAT) has extended the deadline for submitting the Informative Sworn Statement "Reporte Local" or Local File (Report) (Virtual Form No. 3560) for the 2025 tax year. The extension

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Vietnam clarifies reporting obligations under CbC MCAA

19 June, 2026

Vietnam's Department of Taxation has released Official Letter No. 3870/CT-CS on 10 June 2026, providing guidance on the implementation of obligations relating to Country-by-Country (CbC) Reports . The guidance follows Vietnam’s accession to the

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Romania issues draft order to replace 2016 transfer pricing rules with OECD-aligned framework

18 June, 2026

Romania’s National Agency for Fiscal Administration has issued a draft order of the President regarding the thresholds of transactions, deadlines for preparation, content and conditions for requesting the transfer pricing file, and the procedure

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UK: HMRC consults draft International Controlled Transactions Schedule (ICTS)

18 June, 2026

The UK’s His Majesty's Revenue and Customs (HMRC) has launched a technical consultation regarding cross-border related party transactions on 16 June 2026, inviting views on the details of a draft International Controlled Transactions Schedule

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Taiwan: MOF clarifies reasonable interest on inter-company lending arrangements

17 June, 2026

Taiwan's Ministry of Finance (MoF) has released a notice on 1 June 2026, reminding taxpayers of the requirements governing reasonable interest on inter-company lending arrangements. To protect the rights and interests of company shareholders and

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Singapore: IRAS issues new guidance on tax treatment of related party payments

12 June, 2026

The Inland Revenue Authority of Singapore (IRAS) has updated its guidance on Business Expenses, introducing new clarification on the tax treatment of payments for related party services. The update confirms that such payments may be deducted for tax

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Romania: ANAF modernises advance pricing agreement rules

11 June, 2026

Romania's National Agency of Fiscal Administration (ANAF) has unveiled a draft Order to replace the longstanding procedure governing advance pricing agreements (APAs), which has operated under Order No. 3735/2015 for over a decade. The proposed

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Australia: ATO updates public CbC reporting guidance

10 June, 2026

The Australian Taxation Office (ATO) issued new guidance on public country-by-country (CbC) reporting on 9 June 2026. Australia's public CbC reporting rules apply to reporting periods commencing on or after 1 July 2024, with reports required to be

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Kuwait approves accession to BEPS multilateral convention

08 June, 2026

Kuwait has published Decree-Law No. 62 of 2026 in the Official Gazette on 7 June 2026, approving the country's accession to the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting

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Bahrain publishes transfer pricing guidance for MNEs

08 June, 2026

Bahrain's National Bureau for Revenue (NBR) has published the DMTT Transfer Pricing Guide, providing guidance on the application of transfer pricing requirements under Decree-Law No. 11 of 2024, which introduced a global minimum tax through a

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Singapore updates transfer pricing guidance on share-based compensation under TNMM

08 June, 2026

The Inland Revenue Authority of Singapore (IRAS) has updated its Transfer Pricing Guidelines (Ninth Edition), released on 4 June 2026, to clarify the treatment of share-based compensation costs under the Transactional Net Margin Method

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Bolivia updates list of low-tax jurisdictions for transfer pricing, tax control purposes

04 June, 2026

Bolivia’s National Tax Service has published Resolución Normativa de Directorio (RND) Nº 102600000016 on 27 May 2026, updating its list of jurisdictions considered to have low or zero taxation for tax control and transfer pricing

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Japan: National Tax Agency updates CbC exchange jurisdictions list

04 June, 2026

Japan’s National Tax Agency has published an updated list of jurisdictions for the exchange of Country-by-Country (CbC) reports. Country-by-Country (CbC) reports are a standardised tax reporting framework requiring large multinational

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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 (SIN) has issued Resolution No. 102600000017 of 27 May 2026 to further extend the deadline for the digital submission of financial statements, the annual report, the transfer pricing study, and the related-party

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