Barbados Tax News

Americas Tax Roundup | 30 June 2025

30 June 2025

Americas Tax Roundup | 23 June 2025

23 June 2025

Austria Publishes Synthesized Texts of Tax Treaties with Barbados, Bosnia and Herzegovina, and Egypt as Impacted by BEPS MLI

12 June 2025

EY Global Tax Controversy Flash Newsletter (Issue 82) | What’s in the House tax bill and what it means for businesses

6 June 2025

Barbados Further Extends Return Deadline for Fiscal Periods Ending Between 1 January and 30 September 2024

27 May 2025

EY Global Tax Controversy Flash Newsletter (Issue 81) | Unilateral APAs may now be used to solve Cost Saving Arrangements disputes

12 May 2025

Barbados Extends Return Deadline for Fiscal Periods Ending Between 1 January and 30 September 2024

15 April 2025

EY Podcast | Weekly US international cross-border taxation news for week ending 11 April 2025

11 April 2025

CARICOM Aligning Tax Treaty With International Standards

4 April 2025

OECD Updates Central Record of Legislation with Transitional Qualified Status for Pillar 2 Global Minimum Tax

2 April 2025

Barbados and Hong Kong Conclude First Round of Tax Treaty Negotiations

31 March 2025

Barbados Explains Eligibility Criteria for 5.5% Corporation Tax Rate and Prepayment Obligations

28 March 2025

Barbados and Hong Kong Holding First Round of Tax Treaty Negotiations

21 March 2025

EY Global Tax Controversy Flash Newsletter (Issue 79) | How increased global competition is reshaping tax priorities

10 March 2025

Curacao Tax Treaty Negotiation Plan 2025

21 February 2025

Barbados Monthly Corporation Tax Prepayment Requirements for Most Taxpayers from 2025

12 February 2025

OECD Releases Latest Peer Review Results on Preferential Tax Regimes under BEPS Action 5

7 February 2025

EY Global Tax Controversy Flash Newsletter (Issue 77) | Dispute resolution: OECD reports mixed results across APA and MAP programs globally

13 January 2025

EY Podcast | Weekly US international cross-border taxation news for week ending 3 January 2025

3 January 2025

EY Global Tax Controversy Flash Newsletter (Issue 76) | Joint and simultaneous tax audits: unexplored options for addressing double taxation

9 December 2024

Czech Republic Publishes Bulletin on Impact of BEPS MLI on Tax Treaties with Barbados and Bosnia and Herzegovina

19 November 2024

EY Global Tax Controversy Flash Newsletter (Issue 75) | Growing government demands accelerate the need for tax transformation and integrated controversy management

11 November 2024

Barbados Extends CbC Notification Deadline for Fiscal Years Ending between 1 October and 30 November 2024

7 November 2024

Barbados Tax Authority Publishes Guidance Note on Economic Substance Data Exchange Jurisdictions

31 October 2024

Nine Jurisdictions Sign Multilateral Instrument to Implement Pillar 2 STTR with Ten Expressing Intent to Sign

20 September 2024

Czech Republic Extends BEPS MLI to 19 Additional Tax Treaties

18 September 2024

EY Global Tax Controversy Flash Newsletter (Issue 73) | Recent developments reinforce importance of reviewing transfer pricing approach

9 September 2024

Czech Republic Expanding Scope of Tax Treaties Covered by BEPS MLI

21 August 2024

EY Global Tax Controversy Flash Newsletter (Issue 70) | UK releases new operational guidance on effective risk management in transfer pricing transactions

10 June 2024

Barbados Notice on 30 June 2024 Deadline for 2023 Annual Company Returns

6 June 2024