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We are a team of international tax & accounting group. Our main focus is to keep ourselves and our clients updated with latest knowledge and trends in international tax and accounting. Our dedicated team of international tax not only keeps themselves updated with latest developments but also believes in analysing the changes and evaluating the impact. Want to know latest on BEPS, Transfer pricing, Landmark judgements and its analysis then this is the place to be. We also conduct in house trainings at corporate for the owners and their employees on a request basis.

Why you should publish with International Tax?

  • International Tax is the first of its kind for source of international tax and transfer pricing news available on the internet without a subscription.
  • We don’t charge a subscription fee, your article will be read by potential clients, business partners, and journalists seeking information about someone with your qualifications on the internet. Your article can easily be shared on social media or linked to from your firm’s website, LinkedIn, or Twitter.
  • Publishing about current news is free on International Tax.
  • Your information (name/country) is automatically added to Inernational Tax’s listing of International Tax and Transfer Pricing Expert Authors for one jurisdiction at no charge. This is a fantastic resource for potential clients that seek information on the Internet about tax and transfer pricing experts located in a particular country.
  • Links to your article will be included in the International Tax newsletter published every month.
  • We provide editing free of charge and regularly assist tax experts that speak English as a second language.

Our requirements

  • We do not publish articles with footnotes.
  • Please use acronyms as infrequently as possible. Please use “country-by-country reporting” instead of “CbCR” and “tax treaty” instead of “DTA”. You can use acronyms for extremely long terms – i.e., the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting (MLI). Our style is no quotation marks i.e., (MLI) not (“MLI”).
  • Please break up large blocks of text into paragraphs.
  • Please include the name of the country involved in the headline.
  • Please add author name, position, firm, location below the headline.
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