CFE Tax Top 5 (4 April 2022)

This week's edition of the CFE Tax Top 5 looks at the following: EU Commission Launches Public Consultation on a New EU System for Withholding Taxes CFE Tax Advisers Europe Opinion Statement: Pillar 2 Proposal Requires Further Revision Before Entry Into Force OECD Release Reporting Format...

CFE Tax Top 5 (29 March 2022)

This week's edition of the CFE Tax Top 5 looks at the following: EU Parliament: Hearing on the Dutch Tax System & Exchange of Information with Pandora Papers Jurisdictions OECD: Public Consultation on CRS – Crypto-Assets Registration Open: CFE Forum 2022 on 12 May 2022...

CFE Tax Top 5 (21 March 2022)

This week's edition of the CFE Tax Top 5 looks at the following: ECOFIN: EU Council Progress on Pillar 2 Minimum Corporate Tax Implementing Directive OECD: GloBE Model Rules Guidance & Framework Consultation Save the Date: CFE Forum 2022 on 12 May 2022 in Brussels ECOFIN: Agreement on Carbon...

EU Council progress on Pillar 2 discussions

Progress has been made in relation to the EU Directive on the implementation of the OECD's Pillar 2 minimum corporate income tax at the 15th March 2022 ECOFIN meeting. Click here to view the draft compromise text published in advance of the meeting.  ...

CFE Tax Top 5 (28 February 2021)

This week's edition of the CFE Tax Top 5 looks at the following: EU Council Reviews Tax Blacklist OECD Publishes Public Comments on Draft Pillar I Nexus & Revenue Sourcing Rules Applications Open: CFE Tax Advisers Europe’s 2021 Albert J. Raedler Medal Award OECD Consultation on...

Council reviews EU list of non-cooperative jurisdictions

The EU Council has reviewed the EU list of non-cooperative jurisdictions for tax purposes. American Samoa, Fiji, Guam, Palau, Panama, Samoa, Trinidad and Tobago, US Virgin Islands and Vanuatu remain on the list and no new countries have been added. The Council conclusions on the revised list...

CFE Opinion Statement on Case C-437/19 DAC

The CFE has issued an Opinion Statement on the CJEU decision of 25 November 2021 in Case C-437/19, État luxembourgeois v L, on the conditions for information requests and taxpayer remedies, where in the Court clarified the conditions for the identification of a taxpayer in group...