Default interest, penalties and illegality under foreign law27 March 2019
The English Commercial Court recently clarified whether a default interest clause contributes a penalty and the operation of illegality under foreign law. Find out more here.
The English Commercial Court recently clarified whether a default interest clause contributes a penalty and the operation of illegality under foreign law. Find out more here.
With near perfect timing, the administrators of UK tonnage tax have cleverly and conveniently solved one potential Brexit problem. Read to find out more.
Our authors take a look at the Greek new Law 4548/2018. What are the impacts of its provisions?
On 12 March 2019, the Council of the European Union added Bermuda to its list of non‑cooperative jurisdictions for tax purposes. What does this mean for tax arrangements and offshore companies with global group structures?
In this briefing we consider the benefits of Third Party Funding and how there are increased opportunities for court litigation and arbitration funding in the Middle East and in particular the UAE.
The Vietnamese government has considered new solar feed-in-tariffs which will be in place for approximately two years. Linh Doan, Michael Folsom and Edmund Poon examine the effect it will have on solar projects in Vietnam.
In our recent briefing, Tax Partner Gerrit Bartsch and Associate Verena Weider discuss the decision of The European Court of Justice regarding the German Real Estate Transfer Tax exemption clause for group restructurings.
Introduction New provisions aimed at settling various outstanding tax liabilities… Read more
80% kürzung des auflösungsgewinns aus unterscheidsbetrag bei gewerbesteuer entgegen dem tonnagesteuererlass für zulässig gehalten
In this briefing, we consider why on board Wi-Fi may be the most dangerous thing on an aircraft.
The Ministry of Economic Affairs of Taiwan announced Taiwan’s new feed-
in tariff regime for renewable power generation projects in January 2019.
The introduction of the new tax regime aims to attract individuals receiving pensions from abroad and moving their tax residence to Italy, as per the previous Non-Dom Regime.