17 January 2020 Prospective tax policies of the new UK Government A clearer picture has emerged of the United Kingdom’s (UK) future tax policy landscape, following the Conservative Party win in the December general election, which provided it with a clear majority in the House of Commons.
9 January 2020 COP25: Key outcomes of the 25th UN Climate Conference Thousands of business leaders, government officials, research institutions, and not-for-profits descended upon Madrid, Spain from December 2 to 13, 2019 for the 25th UN Climate Conference—known as COP25.
30 December 2019 Results of 2019 Global Assignment Policies and Practices Survey The results of the 2019 KPMG Global Assignment Policies and Practices survey have been released.
12 December 2019 KPMG submission for guidance on transfer pricing KPMG has made a submission to Revenue setting out matters for consideration in guidance on Ireland's transfer pricing regime.
12 December 2019 KPMG submission for guidance on EU Mandatory Disclosures Reporting KPMG has made a submission to Revenue setting out matters for consideration in guidance on the EU Mandatory Disclosures Reporting Regime.
5 December 2019 Comments on OECD’s global anti-base erosion (GloBE) proposal under Pillar Two KPMG has submitted comments to the OECD relating to a consultation document on Pillar Two of the BEPS Inclusive Framework and the tax challenges associated with the digitalization of the economy.
11 November 2019 OECD consults on BEPS Global Anti-Base Erosion (GloBE) Proposal On 8 November 2019, the OECD launched a consultation on a ‘Global Anti-Base Erosion (GloBE) Proposal’.
31 October 2019 Multinationals and EU state aid developments On 24 September 2019, the European Union (EU) General Court published its judgments on the alleged state aid measures afforded to two multinationals by the Netherlands and Luxembourg.
31 October 2019 Ireland introduces anti-hybrid rules from 1 January 2020 The Finance Bill 2019 contains measures to implement provisions to counteract tax mismatches arising from cross-border hybrid arrangements in accordance with ATAD2.