- Federal Shift: The GST Council Reshuffle 2026 and the Road to GST 2.0
- The Post-OBBBA Era: Taxigration and the MACR Minefield
- The 10% Blow: Navigating the State of Oregon v. United States 2026 Ruling
- The Revenue Shield: Japan QDMTT 2026 and the Global 15% Floor
- The Value Shift: Navigating the China Export VAT 2026 Trade Pivot
- The Green Wall: Navigating the South Africa Carbon Tax Phase 2 Surge
- The July Countdown: Navigating the Australia Stage 3 Revisions 2026 “Holding Phase”
- The End of the “Missing Middle”: Navigating the India GST Slab 2026 Shift
Just In
The “soft landing” is over. IRS Notice 2026-15 introduces the MACR formula, a binary test for green energy credits that disallows 100% of the credit for PFE violations.
A major blow to trade policy: The CIT has struck down the 10% global baseline tariff in the State of Oregon v. United States 2026 case, ruling the use of Section 122 unlawful.
China’s Export VAT 2026 ends the era of cheap solar. By removing rebates for PV and batteries, Beijing shifts focus to value, impacting global project costs by 5%.
The ATO is processing the final weeks of the 16% tax rate. The Australia Stage 3 Revisions 2026 are currently a “palliative” before the permanent 15% cut arrives on July 1.
The transition is holding. The UK MTD 2026 Golden Month concluded today with high traffic but stable APIs, moving the UK closer to a fully digital tax system.
Canada and Germany’s 2026 Strategic Industrial Tax Dialogue targets “friend-shoring” through synchronized R&D credits and green incentives to boost transatlantic industrial resilience.
Registration is over; enforcement is here. The BIR is now auditing streamers and digital giants under the Philippines Digital Service VAT 2026 framework.
The taxman is now in every pocket. Kenya’s eTIMS Expansion 2026 integrates mobile money with digital invoicing, making eTIMS mandatory for the informal sector.
The era of 12.5% is over. Cyprus CIT 15% Reform 2026 is now in active enforcement, aligning the island with global minimum tax standards while preserving key IP incentives.
The “fixtures” loophole is closing. Australia’s Foreign Resident CGT 2026 regime is expanding to capture infrastructure and resource rights, with a major discount for green energy.

