Hybrid Mismatch arrangments consist of an international corporate structure utilising a tax loophole created by the diversity of Corporation Tax rules in different countries. Technically a practice of tax optimisation, after BEPS, we do not believe there is space … Read More
The OECD is trying to resolve some of the classic international tax issues in the context of the digital economy. Welcome to the OECD 2.0
The OECD’s BEPS (Base Erosion and Profit Shifting) is the closer thing to a true … Read More
The big social and traditional media repercussion of the ‘Panama Papers’ seems to have faded now.
Apart from the anecdotical British Virgin Islands’ Financial Service Commission (FSC) fine to the law firm Mossack Fonseca , only a few investigations triggered … Read More