Our quarterly international tax newsletter reviews cross-border tax developments affecting multinational corporations, family offices, and high-net-worth individuals. Topics include OECD Pillar Two implementation milestones, recent U.S. treaty developments, EU directive updates, and indirect-tax reform proposals in major jurisdictions.
Featured this quarter: the practical interplay between Pillar Two computations and U.S. GILTI/BEAT positions; new guidance on transfer-pricing documentation thresholds; and the indirect-tax implications of cross-border digital-services arrangements.
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