The BMG has made a submission on Attribution of Profits to a Permanent Establishment in response to the OECD Discussion Draft.
Read MoreThe BMG has now published its explanation and Analysis of MC-BEPS to implement the tax treaty related provisions of the BEPS project.
Read MoreThe BMG has made a submission to the OECD on its consultation on revisions to the guidance on Attribution of Profits to Permanent Establishments.
Read MoreUnder international tax rules, whether a foreign company can be taxed on profits earned from activities in a country depends on whether it has a Permanent Establishment (PE).
Read MoreThe BMG has published its comments on the OECD proposals on Preventing Artificial Avoidance of Permanent Establishment Status, under Action 7 of the BEPS Project, which deal with the criteria for taxable presence of a foreign company.
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