EY Global Tax Controversy Flash Newsletter (Issue 56) | EY comments on BEPS 2.0 consultation documents identify key issues impacting tax certainty for multinationals
14 March 2023

EY Global Tax Controversy Flash Newsletter (Issue 55) | HMRC evolves its compliance approach with new ‘Guidelines for Compliance’
14 February 2023

Russia Revises List of States and Territories for CbC Report Automatic Exchange Including Addition of Tunisia and Removal of Cayman Islands and Switzerland 3 February 2023
OECD Releases New Conclusions Showing Further Progress in Countering Harmful Tax Practices in No or Only Nominal Tax Jurisdictions 6 January 2023
EY Global Tax Controversy Flash Newsletter (Issue 53) | UK transfer pricing adjustments – is the underlying rule being followed?
13 December 2022

Russia Revises List of Jurisdictions for Automatic Exchange of Financial Account Information 8 December 2022
Multilateral Exchange Agreements Signed on Income Earned on Digital Platforms and on CRS Avoidance Arrangements and Opaque Offshore Structures 11 November 2022
EY Global Tax Controversy Flash Newsletter (Issue 50) | Updates to MAP processes may increase taxpayer participation
13 September 2022

Cayman Islands Updates Economic Substance Enforcement Guidelines 6 September 2022
EY Global Tax Controversy Flash Newsletter (Issue 47) | Cross-border tax controversy on the rise: transfer pricing trends in the life sciences sector
17 June 2022

EY Global Tax Controversy Flash Newsletter (Issue 46) | Is your organization ready to meet growing global demands for tax governance?
17 May 2022

Cayman Islands’ new enforcement guidelines detail circumstances under which financial institutions could face penalties for failing to comply with Common Reporting Standard
3 May 2022

OECD Releases Stage 2 Peer Review Reports on Dispute Resolution for Nine Jurisdictions 20 April 2022
EY Global Tax Controversy Flash Newsletter (Issue 45) | What 2022 may hold for global tax policy and controversy
12 April 2022

EY Global Tax Controversy Flash Newsletter (Issue 44) | Operating model design: The importance of keeping controversy front of mind
15 March 2022

EY Global Tax Controversy Flash Newsletter (Issue 41) | How businesses can navigate transfer pricing risks
14 December 2021

EY Global Tax Controversy Flash Newsletter (Issue 39) | Shifting international tax landscape may bring greater tax controversy risks
19 October 2021

EY Global Tax Controversy Flash Newsletter (Issue 38) | Trends in cross-border tax controversy: multilateralism rising
14 September 2021

EY Global Tax Controversy Flash Newsletter (Issue 36) | Tax risk and controversy for the C-suite
12 July 2021

EY Global Tax Controversy Flash Newsletter (Issue 35) | Future proof now, not later, as transfer pricing scrutiny evolves
15 June 2021

EY Global Tax Controversy Flash Newsletter (Issue 34) | Making your resource-strapped transfer pricing function “future ready”
18 May 2021

EY Global Tax Controversy Flash Newsletter (Issue 31) | Why companies should prepare for transfer pricing controversy
16 February 2021

EY Global Tax Controversy Flash Newsletter (Issue 30) | Why companies should build the tax controversy department of the future, today
19 January 2021

Cayman Islands Issues Industry Advisory on Economic Substance 14 January 2021
Cayman Islands Updates CbC Guidance and XML Schema and Provides New Deadline 21 December 2020
UK Announces Minimum Beneficial Ownership Register Standards for British Overseas Territories 16 December 2020
EY Global Tax Controversy Flash Newsletter (Issue 29) | What’s next for tax policy and controversy in Asia-Pacific?
15 December 2020

EY Global Tax Controversy Flash Newsletter (Issue 27) | Managing transfer pricing risk in a rapidly changing environment
13 October 2020
