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Int'l Tax News

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Services Taxation Major Sticking Point in UN Talks, Chair Says (06/26/2026)

  • By James Munson

Disagreements over how to tax cross-border services are proving to be a major hurdle for negotiators working on a United Nations global tax agreement, the head of the negotiating committee said Friday.

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Tax Incentives Continue to Dominate Governments’ R&D Support (06/26/2026)

  • By Ryan Hogg

Government support for research and development through tax incentives has more than doubled over two decades, new OECD data shows.

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Trump Vows 100% Tariff If Countries Impose Digital Services Tax (06/26/2026)

  • By Gabriella Borter

President Trump says any country that imposes a digital services tax on American companies “will immediately be met with a 100% TARIFF” on all goods sent to the US.

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Tax AI Where Profits Are Created, OpenAI Executive Says (06/26/2026)

  • By Somesh Jha

Tax policy for artificial intelligence should focus on where profits are created, a top OpenAI executive said on June 26,2026.

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Trump threatens 100% tariff on any country that imposes digital services tax

  • By Doina Chiacu
  • By David Lawder

This article reports that President Trump threatened a 100% tariff on goods from any country imposing a digital services tax on U.S. companies. The article links the threat to France’s existing digital services tax on revenues from online marketplaces and advertising, as well as broader U.S. objections to European DSTs that the U.S. Trade Representative has argued discriminate against American technology companies.

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ECJ Adviser Backs EU Probe Into Mead Johnson Gibraltar Tax Break (06/25/2026)

  • By Jan Stojaspal

The European Court of Justice should back the European Commission’s decision to extend a state aid investigation into whether a Gibraltar entity of the Mead Johnson Nutrition group received preferential tax treatment, an adviser to the court wrote on June 25, 2026.

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EU Proposes Tax Simplification Measures in Bid to Boost Business

  • By Saim Saeed

The European Union unveiled a new package to overhaul the bloc’s tax rules on June 24, 2026, the latest effort by Brussels to cut red tape and reduce the regulatory burden on business.

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European Commission proposes landmark tax simplification package to streamline compliance and boost competitiveness

  • By European Commission - Directorate-General for Taxation and Customs Union

This official EU item describes a tax simplification package aimed at reducing compliance burdens and modernising the EU direct tax framework. The proposals would remove withholding taxes on certain cross-border intra-EU payments, streamline the interaction between CFC rules and Pillar Two, strengthen cross-border tax dispute resolution, and simplify reporting obligations under the Directive on Administrative Cooperation, country-by-country reporting, and top-up tax information returns.

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AI Has No Place in Global Digital Tax Talks, US Official Says (06/23/2026) Author: Lauren Vella

  • By Lauren Vella

Artificial intelligence doesn’t belong in the OECD-led discussions about taxing the digital economy, the top US delegate to the organization said on June 23, 2026.

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OECD to Release Data on Impact of US Global Tax Carve-Out (1) (06/22/2026)

  • By Lauren Vella

The OECD plans to release a report in July on the impact of the global minimum tax following a January agreement that carves out US multinationals from key parts of the minimum levy’s framework.

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Trump Poised to Roll Out New Tariffs as He Refunds the Old Ones

  • By Alicia Diaz

Tariff revenue is now flowing out of the US Treasury’s coffers faster than it’s coming in, with nearly $22 billion in unlawfully collected duties reimbursed to importers in May.

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Corporate Tax Exemptions Most Popular Incentive, OECD Data Says (06/18/2026)

  • By Ryan Hogg

Corporate income tax exemptions remain the most popular investment tax incentive instrument across most of the globe, data compiled by the OECD shows.

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EU Urges Swift Resumption of Global Digital Tax Talks (06/18/2026)

  • By Saim Saeed

A senior EU official on Thursday urged the restart of stalled global digital tax negotiations “as soon as possible,” warning that the issue of untaxed revenue from digital services is unlikely to go away.

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India Wins Over Global Bond Funds With Tax Cut, Aiding Rupee (1) (06/18/2026)

  • By Subhadip Sircar

Global funds are piling into Indian government bonds after New Delhi removed taxes on debt for foreign investors and eased ownership caps, along with moves that have helped stabilize the rupee.

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Switzerland Loses Top Competitiveness Ranking to Singapore (06/18/2026)

  • By Allegra Catelli

Switzerland lost its position as the world’s most competitive economy to Singapore, slipping to third place in the ranking as high US trade tariffs and a strong Swiss franc hurt investment flows.

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Colombia Seeks Shield for Multinationals From Global Minimum Tax (06/18/2026)

  • By Somesh Jha
  • By Saim Saeed

Colombia wants to join the US in having its companies exempted from part of the 15% global minimum tax that dozens of countries have already adopted.

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OECD Planning Tax Morale Dialogue with Regional Administrations (06/18/2026)

  • By Ryan Hogg

The OECD is planning to share documentation on tax morale with several tax administrations in the coming weeks, an official said.

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OECD: Countries Should Assess How Pillar 2 Affects Tax Incentives

  • By Sarah Paez

OECD officials urged governments to reassess existing tax incentives in light of pillar 2, noting that some incentives may be less effective under the global minimum tax framework while others may qualify for favorable treatment. Countries were encouraged to evaluate which incentives benefit in-scope multinationals and consider reforms that align with pillar 2 rules while improving investment certainty and tax policy effectiveness.

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Tax Officials Back Benefits of ‘Amount B’ Transfer Pricing Model (06/17/2026)

  • By Ryan Hogg

Tax administrators vouched for potential benefits that a simplified transfer pricing calculation for baseline marketing and distribution activities could have on tax authority capacity and dispute resolution.

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AI Slashes VAT Non-Compliance Tracking Time, OECD Official Says (06/17/2026)

  • By Somesh Jha

Tax authorities are reporting a significant reduction in time spent tracking non-compliance with payments of value-added tax—from nine months to three—thanks to the use of artificial intelligence, an OECD official said Wednesday.

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Tax Policy as a Catalyst for Innovation: Attracting Talent and Capital to Europe in a Multipolar World, Part 3

  • By Scott Levine

In this final installment of the report, Levine looks at the path forward for the EU to use taxation to support growth and innovation, including enhanced cooperation, and suggests that it look to build on U.S. experience rather than replicate it.

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UK Scales Back New Transfer Pricing Reporting Requirements (06/16/2026)

  • By Somesh Jha

The UK tax authority proposed changes to its planned transfer pricing documentation requirements Tuesday to lighten the administrative burden for multinational companies. The new proposal for documentation under the International Controlled Transactions Schedule, open for public consultation until July 31, also adds targeted rules for the financial sector.

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EU Lawmakers Approve US Trade Deal Ahead of Trump Deadline (2) (06/16/2026)

  • By Jorge Valero

The European Union’s US trade deal is close to being implemented after the bloc’s lawmakers gave their final approval, forging ahead despite ongoing transatlantic trade tensions.

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EU’s Bid to Save Companies Billions in Tax Compliance: Explained (06/16/2026)

  • By Saim Saeed

The EU is preparing an ambitious overhaul of the bloc’s corporate tax rules in a bid to cut red tape and boost the European economy’s sluggish growth.

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OECD Opens Consultation to Refine Digital Platform Reporting

  • By Sarah Paez

The OECD is consulting on amendments to its model reporting rules for digital platforms to reduce compliance burdens for gig and sharing economy operators. Key proposals include raising the low-value seller exclusion threshold to €3,000, exempting certain intragroup platform arrangements, and explicitly excluding pure payment processors from reporting obligations.

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Why Squeezing Big Business Harder Won’t Close the UK Tax Gap (06/15/2026)

  • By Jenny Batchelor

If the UK government is serious about closing the tax gap, it can’t do so by repeatedly squeezing the same companies. There is a more effective path. And it runs through AI.

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Macron Brushes Off Trump’s 100% Tariff Threat on French Wine (1)

  • By Ania Nussbaum
  • By William Horobin

French President Emmanuel Macron refused to drop the country’s digital tax after Donald Trump threatened new tariffs on wine, setting the stage for a confrontation when the two leaders meet at the Group of Seven summit in Evian.

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UN Digital Tax Talks Are Unlikely to Succeed Where OECD Failed

  • By Alan Cole

European countries that once worked to keep the United Nations’ tax negotiations from getting off the ground are now among the most active voices inside them.

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EU to Cut Tax Reporting for Big Multinationals in Overhaul (06/15/2026)

  • By Saim Saeed

The European Commission will propose exempting large multinationals subject to the EU’s 15% corporate minimum tax law from reporting on their cross-border tax arrangements.

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EU Countries Split on Budget Flexibility to Counter Energy Shock

  • By Elodie Lamer

The European Commission proposed allowing EU member states to redirect a portion of their defense-related national escape clause budget flexibility toward energy support measures. Several member states and the European Fiscal Board oppose the move, warning it could compromise the credibility of the EU fiscal framework and crowd out necessary military spending.

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EU Reaches ‘General Approach’ on CBAM

  • By Elodie Lamer
  • By Sophie Petitjean

The EU Economic and Financial Affairs Council reached a general approach to extend the carbon border adjustment mechanism (CBAM) to downstream steel and aluminum products. While a consensus was achieved to begin negotiations with the European Parliament, several smaller and island member states abstained or dissented over inflationary concerns and the rigid criteria of the emergency suspension clause.

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Taxing AI: Where the Framework Holds and Where It Breaks

  • By Fausto Geremia

Geremia explores the taxation issue created by agentic artificial intelligence and evaluates to what extent the base erosion and profit-shifting project has addressed these issues.

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Coffee’s Tariff Exemption Reveals Trump’s Revenue Conundrum (06/12/2026)

  • By Daniel Flatley

To understand the contradictions at the heart of President Donald Trump’s trade policy, look no further than the humble cup of coffee.

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US Is Closely Watching Global Minimum Tax ‘Integrity Guidance’ (06/12/2026)

  • By Lauren Vella

The US Treasury is keeping a close eye on forthcoming guidance from the OECD that’s meant to ensure the global minimum tax framework maintains its integrity, a top department official said Friday.

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Musk Trillionaire Status Stokes Democrats’ Tax-the-Rich Push (1) (06/12/2026)

  • By Ted Mann

Democratic lawmakers seized on Elon Musk’s new status as the world’s first trillionaire to renew calls for a wealth tax on the richest Americans as affordability concerns dominate national politics.

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Global Forum Secretariat convenes workshop to advance implementation of the amended Common Reporting Standard in the Caribbean

  • By OECD

This OECD item discusses implementation of the amended Common Reporting Standard and the Crypto-Asset Reporting Framework in Caribbean jurisdictions. It focuses on the legal, IT, and reporting steps needed for future automatic exchanges, with implications for tax transparency, cross-border reporting, and international tax administration.

To read the full article, click here.

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Treasury Never Had Authority to Make Commensurate With Income Standard Arm’s Length

  • By Ryan Finley

Finley argues that the IRS lacked the statutory authority to blend the commensurate with income rule with standard arm’s length principles in the transfer pricing context. A closer look at the legislative history reveals Congress actually intended a strict, hindsight-based mechanism that adjusts a company's tax liability based on real-world profits rather than upfront projections.

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Anthropic CEO Floats Tax on AI Firms to Fund Universal Income (06/11/2026)

  • By Ryan Hogg

Anthropic CEO Dario Amodei called on governments to tax AI companies to fund a universal basic income and introduce employee retention incentives to account for the potential impact the technology could have on the labor market.

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EU Dismisses Digital, Gambling Taxes in Amended Spending Plan

  • By Saim Saeed

A late effort to include new EU-wide taxes in the bloc’s next budget plan fell through as none of the additional levies—on digital services, crypto assets, and online gambling—were included in the amended proposal.

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EU to Attempt a Deal on CBAM Negotiating Mandate

  • By Elodie Lamer

EU finance ministers are meeting to negotiate an expansion of the Carbon Border Adjustment Mechanism (CBAM) to downstream steel and aluminum products, while strengthening anti-abuse measures against practices like "harmful resource shuffling." However, member states remain deeply divided over potential temporary exemptions, the inclusion of indirect emissions, and how to balance the expansion with existing EU state aid systems.

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Italy Says U.S. Multinational Exclusion Won’t Cut Pillar 2 Revenue

  • By Matteo Rizzi

Italy expects to lose approximately €3.02 million in annual revenue starting in 2026 after implementing the OECD's Pillar 2 side-by-side simplification package, driven primarily by a new safe harbor for substance-based tax incentives. However, data from early Pillar 2 collections indicates that other measures in the package—including safe harbors for U.S.-parented multinational groups—will have no measurable fiscal impact on the Italian treasury.

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Pillar 2 and the Constraints of Qualification

  • By Lucas De Lima Carvalho

Carvalho argues that the repeated use of OECD terms concerning pillar 2 have normalized the acceptance of the global anti-base-erosion model rules through a form of “illusory truth” while constraining domestic tax policymaking.

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The Tax Impact of Replacing GILTI With a Pillar 2 IIR for 85 Large U.S. Corporations

  • By Thomas Horst, Thomas Meyer, and Priyan Thurairatnam

The authors compare the estimated tax impact of global intangible low-taxed income and a pillar 2 income inclusion rule for 85 large U.S. nonfinancial corporations and find that aggregate taxes would have been higher under pillar 2.

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Tax Policy as a Catalyst for Innovation: Attracting Talent and Capital to Europe in a Multipolar World, Part 2

  • By Scott Levine

In the second installment of a three-part series, Levine explores potential EU reforms that could help foster world-class technology companies in Europe.

Click here for full article.

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IRS, Canada Agree on World Cup Participants’ Income Allocation (06/10/2026)

  • By Michael Rapoport

Participants of the 2026 FIFA World Cup can use a proportional formula to allocate the prize money and other compensation they receive among the countries hosting the tournament, the IRS said Wednesday.

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Irish Corporate Tax Intake Masks Weakness, Fiscal Watchdog Warns (06/10/2026) Author: Olivia Fletcher

  • By Olivia Fletcher

Ireland’s healthy economic headline numbers mask growing weaknesses in the public finances, the state’s fiscal watchdog has warned.

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Australia’s Tax Proposals Mean No Capital Gain Without Pain (06/10/2026)

  • By Angela Wood
  • By Andy Bubb
  • By Patrick Norman

Australia is proposing changes to its country’s capital gains framework by expanding what is considered "real property." The proposed law applies retroactively to 2006. Under the proposed laws, real property would be given a broad statutory definition. This broadens the Australian tax base for foreign investors.

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US May budget deficit shrinks but customs collections turn negative due to tariff refunds

  • By David Lawder

This article reports that tariff refunds exceeded gross customs collections, causing net customs receipts to turn negative for the month. The development shows how tariff refund administration following litigation over emergency tariffs can affect customs revenue and monthly government receipts data.

To read the full article, click here.

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Hong Kong Plans Tax Breaks to Attract Corporate Treasury Centers

  • By William Hoke

Hong Kong announced a plan encourage more multinational corporations to establish treasury centers in Chinese territory by providing more favorable tax benefits and greater tax certainty.

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Brazil Expects OECD’s Side-by-Side Status Decision Within Months

  • By Barbara Mengardo

Brazil expects the OECD to decide whether it will be included in the side-by-side package in August after submitting a request in February. Inclusion would exempt multinational groups headquartered in Brazil from the global application of pillar 2 rules. The U.S. is the only country included in the side-by-side package. 

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