The BMG submitted on 30 June 2016 these Comments on Action 15 on the proposed Multilateral Instrument which will amend existing tax treaties to implement changes agreed in the BEPS project.
Read MoreThe BMG has now made a submission to the US Treasury on its draft Regulations for Country by Country Reporting.
Read MoreThe BMG has now published its comments on the Discussion Draft under Action 8, which proposes revised text for the OECD Transfer Pricing Guidelines on Hard to Value Intangibles.
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 now published its comments on the Revised Discussion Draft under Action 6, Prevent Treaty Abuse.
Read MoreThe BMG, together with the Global Alliance for Tax Justice, has prepared a statement of Key Points on Tax Issues, summarizing our views on the BEPS Action Plan proposals to date.
Read MoreWe have now published our submission to the consultation on BEPS Action Point 10 Transfer Pricing Aspects of Cross-Border Commodity Transactions.
Read MoreWe have now published our submission in response to the consultation on BEPS Action Point 4 Interest Deductions.
Read MoreWe are today publishing our BMG Submission to OECD on Transfer Pricing Comparability Data and Developing Countries . This is our response to the OECD Report on this subject of 11thMarch 2014, prepared at the request of the G20.
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