International

  • January 22, 2026

    UK-Peru Tax Treaty Enters Into Force

    A tax treaty between the U.K. and Peru entered into force on Thursday, according to HM Revenue & Customs.

  • January 22, 2026

    Digital Services Taxes May Give Leverage In US Trade Deals

    As President Donald Trump and his administration continue to negotiate with trading partners seeking to lower tariff rates, countries with digital services taxes could find those measures build some leverage with U.S. negotiators aiming to eliminate them. 

  • January 22, 2026

    UK Spent £21B On Corp. Tax Relief Last Year, HMRC Says

    The U.K. spent £21 billion ($28 billion) on corporate tax relief during the last fiscal year, continuing a steady rise in related expenditures, HM Revenue & Customs reported Thursday.

  • January 22, 2026

    UN Committee Floats Draft For Taxing Cross-Border Services

    Negotiators at the United Nations released a draft of potential cross-border measures that could eventually appear in a multilateral treaty to help countries tax the income of remote corporations that currently fall outside traditional taxation rules.

  • January 22, 2026

    Nomura Says Fund's $49M Claim Is 'Misconceived'

    Two securities trading arms of Nomura Group have denied causing an investment fund to lose more than $43 million by selling the fund's shares and overcharging it almost $6.8 million in connection with capital gains tax.

  • January 22, 2026

    ECJ Backs VAT Exemption For Spanish Cleaning Co-Ops

    Spain can't automatically bar cleaning cooperatives from receiving a value-added tax exemption for services provided to educational and healthcare institutions, the European Union's top court ruled Thursday.

  • January 21, 2026

    Trump Backs Off Tariffs Over Greenland With Deal In Works

    President Donald Trump announced Wednesday he will back down from tariff threats on European countries in an effort to acquire Greenland after reaching an agreement on a framework for a deal involving U.S. security interests in the Arctic region.

  • January 21, 2026

    EU Lawmakers Refer South America Trade Deal To ECJ

    The European Parliament narrowly voted Wednesday to refer the European Union's pending trade deal with four South American countries to the European Court of Justice, delaying a vote on ratifying the pact.

  • January 21, 2026

    IRS Urged To Give IP Relief For Energy Manufacturing Credit

    Intellectual property licensing deals shouldn't trigger foreign-entity restrictions barring access to the advanced manufacturing tax credit for clean-energy parts when the components at issue are merely byproducts of the licensed production process, Miller & Chevalier attorneys told the U.S. Treasury Department and the IRS.

  • January 21, 2026

    Two-Thirds Of Millionaires Back 2% Wealth Tax, G20 Poll Says

    Nearly two-thirds of millionaires globally support a 2% wealth tax on multimillionaires and billionaires while less than a fifth oppose the idea, according to a poll released Wednesday by Oxfam International.

  • January 21, 2026

    Energy Co. Wants Tariffs Excluded From Tax Credit

    A Wisconsin energy company asked the U.S. Treasury Department to exclude tariffs from a new calculation of eligibility for clean energy tax credits, saying shifting federal policy on the levies could threaten the incentive to make major investments domestically.

  • January 21, 2026

    UK Moves To Update Min. Tax Rules With OECD Guidance

    The U.K. announced plans Wednesday to update its legislation under an international minimum tax agreement known as Pillar Two, including incorporating global guidance on how to exchange information among tax authorities.

  • January 21, 2026

    OECD Highlights Tax Transparency Shortcomings In 5 Nations

    Benin, Cabo Verde and Palau need to improve the availability of several types of information for exchanges between tax authorities, while Antigua and Barbuda and the Seychelles are largely compliant but have shortcomings in similar areas, according to peer reviews published Wednesday by the OECD.

  • January 21, 2026

    Starmer Says UK Won't Yield On Trump Greenland Tariffs

    British Prime Minister Keir Starmer said Wednesday that he will not yield to President Donald Trump's threats to impose tariffs on the U.K. and several European Union countries if they don't negotiate a sale of Greenland to the U.S.

  • January 20, 2026

    Law360 Names Firms Of The Year

    Eight law firms have earned spots as Law360's Firms of the Year, with 48 Practice Group of the Year awards among them, achieving milestones such as high-profile litigation wins at the U.S. Supreme Court and 11-figure merger deals.

  • January 20, 2026

    Boston Consulting Loses UK Tax Fight Over Partner Pay

    Payments to partners made by the U.K. arm of Boston Consulting Group are taxable under rules aimed at preventing avoidance since profit shares were routed through a corporate group and carelessness by the firm caused a loss of tax, a London court ruled Tuesday.

  • January 20, 2026

    IRS Funding Boost Faces $11.7B Cut In Bipartisan Package

    Congress would cut $11.7 billion from the IRS spending boost included in the Inflation Reduction Act under a bipartisan, bicameral spending package released Tuesday by the House and Senate Appropriations committees.

  • January 20, 2026

    Court Backs HMRC Over Healthcare Co.'s Late VAT Appeal

    A private healthcare company has to meet strict conditions to appeal HM Revenue & Customs' value-added-tax assessments and a penalty of over £1 million ($1.3 million) after filing its appeal late, a London court ruled.

  • January 20, 2026

    Swedish Finance Ministry Proposes R&D Tax Breaks

    Sweden's Ministry of Finance floated proposals for research and development tax incentives that would reduce salary costs for personnel.

  • January 20, 2026

    Tribunal Dismisses HMRC Race Claims After 4-Year Delay

    A tribunal has thrown out two claims of race discrimination in the workplace from an HM Revenue and Customs worker, concluding that there was no convincing reason for the allegations being advanced more than four years late.

  • January 16, 2026

    Law360 Names Practice Groups Of The Year

    Law360 would like to congratulate the winners of its Practice Groups of the Year awards for 2025, which honor the attorney teams behind litigation wins and significant transaction work that resonated throughout the legal industry this past year.

  • January 19, 2026

    Starmer Says No Retaliation To Trump's Greenland Tariffs

    The U.K. wants to avoid retaliatory measures to U.S. tariffs over Greenland, Prime Minister Keir Starmer told a news conference Monday following President Donald Trump's weekend threat to impose 10% tariffs on several European countries.

  • January 19, 2026

    Nomura Denies Overcharging Investor $3.8M To Cover Tax

    The U.K. securities brokering arm of Nomura has rejected a claim that it owes an India-based asset manager more than $3.8 million, denying that it deducted too much money from trades to cover capital gains tax.

  • January 16, 2026

    Oxfam Urges Tax On Billionaires Amid $2.5T Wealth Surge

    Oxfam called for new taxes on the superrich after billionaires saw their collective wealth surge by $2.5 trillion in 2025, according to a report published by the charity Monday.

  • January 18, 2026

    Trump Threatens 10% Tariff To Goad EU Nations On Greenland

    President Donald Trump said he would impose a 10% tariff on several countries in the European Union beginning Feb. 1 as a way to build pressure toward his goal for the U.S. to purchase Greenland, according to a social media post.

Expert Analysis

  • 2 Rulings Highlight IRS' Uncertain Civil Fraud Penalty Powers

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    Conflicting decisions from the U.S. Tax Court and the Northern District of Texas that hinge on whether the IRS can administratively assert civil fraud penalties since the U.S. Supreme Court’s 2024 decision in SEC v. Jarkesy provide both opportunities and potential pitfalls for taxpayers, says Michael Landman at Bird Marella.

  • Junior Attys Must Beware Of 5 Common Legal Brief Mistakes

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    Junior law firm associates must be careful to avoid five common pitfalls when drafting legal briefs — from including every possible argument to not developing a theme — to build the reputation of a sought-after litigator, says James Argionis at Cozen O'Connor.

  • Power To The Paralegals: How And Why Training Must Evolve

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    Empowering paralegals through new models of education that emphasize digital fluency, interdisciplinary collaboration and human-centered lawyering could help solve workforce challenges and the justice gap — if firms, educators and policymakers get on board, say Kristine Custodio Suero and Kelli Radnothy.

  • 5 Real Estate Takeaways From Trump's Sweeping Tax Law

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    Changes to the Internal Revenue Code included in the One Big Beautiful Bill Act will have a range of effects on real estate sponsors, investors and real estate investment trusts — from more compliance flexibility around taxable REIT subsidiary limits to new considerations raised by a key retaliatory tax provision that was left out, say attorneys at DLA Piper.

  • Evaluating The Current State Of Trump's Tariff Deals

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    As the Trump administration's ambitious tariff effort rolls into its ninth month, and many deals lack the details necessary to provide trade market certainty, attorneys at Adams & Reese examine where things stand.

  • How Hyperlinks Are Changing E-Discovery Responsibilities

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    A recent e-discovery dispute over hyperlinked data in Hubbard v. Crow shows how courts have increasingly broadened the definition of control to account for cloud-based evidence, and why organizations must rethink preservation practices to avoid spoliation risks, says Bree Murphy at Exterro.

  • Preserving Refunds As Tariffs Await Supreme Court Weigh-In

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    In the event that the U.S. Supreme Court decides in V.O.S. Selections v. Trump that the president doesn't have authority to levy tariffs under the International Emergency Economic Powers Act, importers should keep records of imports on which they have paid such tariffs and carefully monitor the liquidation dates, say attorneys at Butzel.

  • Writing Musicals Makes Me A Better Lawyer

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    My experiences with writing musicals and practicing law have shown that the building blocks for both endeavors are one and the same, because drama is necessary for the law to exist, says Addison O’Donnell at LOIS Law.

  • Adapting To Private Practice: From Va. AUSA To Mid-Law

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    Returning to the firm where I began my career after seven years as an assistant U.S. attorney in Virginia has been complex, nuanced and rewarding, and I’ve learned that the pursuit of justice remains the constant, even as the mindset and client change, says Kristin Johnson at Woods Rogers.

  • 7 Document Review Concepts New Attorneys Need To Know

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    For new associates joining firms this fall, stepping into the world of e-discovery can feel like learning a new language, but understanding a handful of fundamentals — from coding layouts to metadata — can help attorneys become fluent in document review, says Ann Motl at Bowman and Brooke.

  • Agentic AI Puts A New Twist On Attorney Ethics Obligations

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    As lawyers increasingly use autonomous artificial intelligence agents, disciplinary authorities must decide whether attorney responsibility for an AI-caused legal ethics violation is personal or supervisory, and firms must enact strong policies regarding agentic AI use and supervision, says Grace Wynn at HWG.

  • Opportunity Zone's Future Corp. Tax Benefits Still Uncertain

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    Despite recent legislative enhancements to the qualified opportunity fund program, and a new G7 understanding that would exempt U.S.-parented multinationals from the undertaxed profits rule, uncertainties over future tax benefits could dampen investment interest in the program, says Alan Lederman at Gunster.

  • How GILTI Reform Affects M&A Golden Parachute Planning

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    Deal teams should evaluate the effect of a recent seemingly technical change to U.S. international tax law on the golden parachute analysis that often plays a critical part of many corporate transactions to avoid underestimating its impact on an acquirer's worldwide taxable income following a triggering transaction, say attorneys at MoFo.

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