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The OECD’s two-pillar solutions are expected to reconfigure international tax rules and will likely set the tone for cross-border…
A wide range of transparency initiatives have been adopted by tax administrations to obtain more information about multinational…
The ever-expanding level of globalization has led to an increase, among other things, in cross-border business activities. Cross…
Cross-border tax disputes are on the rise in the post-BEPS era with an increasing risk of double taxation. This webinar will…
This webinar addresses the importance of the concept of “beneficial ownership” or “beneficial owner” (BO), the rationale behind…
A permanent establishment can be a tax risk as it often leads to more taxes and compliance obligations, but a permanent…
This webinar addresses a specific tax issue associated with the indirect transfer of assets that has been a hot topic for debate …
Following the implementation of the G20/OECD BEPS Action Plan, in particular Action 6 on treaty anti-abuse rules and the…
Following the implementation of the G20/OECD BEPS Action Plan, international tax planning practices have gone through a seismic…
This webinar examines the so-called Unshell (or ATAD 3) Directive proposal, presented by the European Commission to fight against…
In October 2021, the vast majority of the Inclusive Framework (IF) member countries agreed upon a two-pillar solution to address…
This webinar discusses the latest developments concerning Pillar Two, the second component of the global tax reform aimed at…