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Pillar 2- Computation of GloBE Income or Loss
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India – Taxation of Virtual Digital Assets
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Recent Developments on the Application of the Most Favoured Nation Clauses in Tax Treaties – The Indian Case Study
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Digital tax landscape in Latin American countries
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International Tax Reform and Its Effect on Digital Sovereignty
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Legal Status of the OECD Commentary: Comparative Analysis on Status Quo and Future Considerations Through MLI and OECD’s Two-Pillars Solution
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Dichotomy on the Applicability of Article 9(1) and Article 24(4) of the Model Convention to the Thin Capitalization Rules
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An approach to BEPS risk assessment: Applying data analytics techniques to country-by-country reporting data
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An analysis of diverse unilateral digital tax measures in Asian countries
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What is the road ahead for unilateral digital tax measures
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Treating Tax Relevant Data as a Strategic Asset by the in-house tax department
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Most Favoured Nation clauses in tax treaties: comparative analysis and main issues
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