On the apparency of right for money
On the immanent property of money and the victim complex
5th single tax group: “+” vs “-“
Manipulation as an investment project
Are TP rules applied to wages payment? The Ministry of Finance of Ukraine assumes “yes”.
What’s wrong with this position?
Сustoms value is an acute problem again: notes for business
Value Added Tax (VAT): what is wrong and what is to be done?
What will «budget» changes to the Tax Code add to the TP rules?
Why the Exit Capital Tax should be implemented, rather than just keep struggling with corruption and fostering/upgrading qualification of tax authorities as yet
The results of the latest «2018 International Tax Competitiveness Index» research or the reason why ECT is the most promising tax reform
Has the Supreme Court legitimated transit cars with euro-numbers?
The spirit of the international community of TP professionals
Impressions of participation in the Global Transfer Pricing Forum in Munich under the auspices of the International Tax Review
#8557 #ECT vs BEPS (plan to counteract tax base blurring)
#8557 #ECT and Net Assets
What to do if the outdated Labor Code is not being reformed despite of ever-changing life?
How to dispose of the problems with VAT refund and more
Why exit capital tax is good for economic development, or why Ukraine will not enjoy “economic miracle” if status quo is preserved
Classification without rules or who will pay for contrabandists?
TP control over non-controlled transactions in Ukraine in the light of fresh Indian court practice
The unified authority for investigation of economic crimes (part two: operative investigation activities)
FALSE TARGET. Why do we need the unified authority for investigation of economic crimes?
The unified authority for investigation of economic crimes (part one: whom to obey, whom to hire)
YOU ARE BIRDS OF A FEATHER
#ECT − the last version of the draft law
#ECT − facts of profit tax 2017 and simulation of ECT
#Exit Capital Tax and slavery
#Exit Capital Tax in simple words
Who is the owner of the country?
How to cheat friends and influence people – based upon the Draft Law “On Limited Liability Companies and Companies with Subsidiary Liability”
The Draft Law of Ukraine “On Limited Liability Companies and Companies with Subsidiary Liability”: the first impressions
Court disputes on the net margin method: the first battle in Ukraine won by taxpayers
Might the VAT “exemption” for soybean, sunflower and rape export not be used?
Guilt complex
Victim complex
Thoughts on the BEPS implementation in Ukraine, inspired by the Russian lawmaking
Transfer pricing and customs value. The Customs Valuation Committee of the World Customs Organization (WCO) publishes the second Case Study of TP documentation application during customs value
When TP adjustment results in double taxation?
The updated system of penalties for breaching TP reporting requirements does not provide incentives for self-correction of TP reports
EU tax policy. The European Council improves the double taxation disputes resolution
EU tax policy. Steps to implement the definitive VAT system finally in sight?
The draft Code on administrative proceedings of Ukraine increases the rights defensibility, but still everything depends on the judge. Is there a mechanism for the effective influence on the judge?
Global Transfer Pricing Trends. Dispute between the Coca-Cola Company and the US Internal Revenue Service: an evolution of approach to determening arm’s length royalty?
Are audits under the transfer pricing rules of periods up to January 1, 2015 illegal?
Unconstitutionality of the Tax Code provisions on possibility of the blocking tax invoices?