Madagascar Tax News
EY Global Tax Controversy Flash Newsletter (Issue 47) | Cross-border tax controversy on the rise: transfer pricing trends in the life sciences sector
EY Global Tax Controversy Flash Newsletter (Issue 46) | Is your organization ready to meet growing global demands for tax governance?
EY Global Tax Controversy Flash Newsletter (Issue 45) | What 2022 may hold for global tax policy and controversy
EY Global Tax Controversy Flash Newsletter (Issue 44) | Operating model design: The importance of keeping controversy front of mind
Tuesday, 25 January 2022 | Tax policy matters: Prepare for potential impact of reform on your business (2:30 PM CET)
EY Global Tax Controversy Flash Newsletter (Issue 41) | How businesses can navigate transfer pricing risks
IGF Releases New Practice Note on Tax Treaty Practices in Mining Countries
EY Global Tax Controversy Flash Newsletter (Issue 39) | Shifting international tax landscape may bring greater tax controversy risks
EY Global Tax Controversy Flash Newsletter (Issue 38) | Trends in cross-border tax controversy: multilateralism rising
IGF Releases Draft Practice Note for Consultation on Tax Treaty Practice in Mining Countries
Madagascar Introduces Master and Local File Transfer Pricing Documentation Requirements
EY Global Tax Controversy Flash Newsletter (Issue 36) | Tax risk and controversy for the C-suite
ATAF Issues Release on Two-Pillar Solution to Address the Tax Challenges Arising from the Digitalisation of the Economy
EY Global Tax Controversy Flash Newsletter (Issue 35) | Future proof now, not later, as transfer pricing scrutiny evolves
EY Global Tax Controversy Flash Newsletter (Issue 34) | Making your resource-strapped transfer pricing function “future ready”
EY Global Tax Controversy Flash Newsletter (Issue 31) | Why companies should prepare for transfer pricing controversy
EY Global Tax Controversy Flash Newsletter (Issue 30) | Why companies should build the tax controversy department of the future, today
EY Global Tax Controversy Flash Newsletter (Issue 29) | What’s next for tax policy and controversy in Asia-Pacific?
OECD publishes Revenue Statistics in Africa 2020
EY Global Tax Controversy Flash Newsletter (Issue 27) | Managing transfer pricing risk in a rapidly changing environment
ATAF Releases Paper on Suggested Approach to Drafting Digital Services Tax Legislation
ATAF Releases Policy Paper on Tax Administration and Policy Developments in Response to the COVID-19 Pandemic in Africa
EY Global Tax Controversy Flash Newsletter (Issue 24) | Expected heightened global tax controversy from COVID-19 disruptions
Tax Treaty between Canada and Madagascar has Entered into Force
EY Global Tax Controversy Flash Newsletter (Issue 23) | Is your global tax controversy operating model running at full efficiency?
ATAF Publishes Policy Brief on Digital Services Taxation in Africa
Madagascar Measures to Mitigate the Impact of COVID-19
EY Global Tax Controversy Flash Newsletter (Issue 22) | Companies must remain focused on transfer pricing controversy management in Indonesia, given recent tax audit trends and regulatory changes
ATAF Publishes Suggested Measures to Help Manage the Impact of COVID-19
EY Global Tax Controversy Flash Newsletter (Issue 19) | Upsurge of transfer pricing controversy seen in emerging countries
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