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Analytics and brochures

Alerts
03 September 2012
Clarifying how guarantee-related disputes should be resolved
Pepeliaev Group advises that on 12 July 2012 a Resolution of the Plenum of the Russian Supreme Arbitration Court (the “SAC”) was published. It clarifies how provisions concerning a guarantee should be applied when cases are cons...
Articles and comments
30 August 2012
The review of further development of IP legislation
The first half of 2012 has been low key in terms of the further development of IP legislation. That said, work has continued on the amendments to the Russian Civil Code, with the corresponding draft law passed in its second reading.
Articles and comments
24 August 2012
Rostec up for sale
Rostec up for sale
Articles and comments
21 August 2012
The tax risks of business: prospects for 2012

The Russian President and Government have recently been talking more about the need to optimisegroups of taxes, with high-quality economic growth depending on this. In particular, Vladimir Putin recently stressed that Russia must make its ...

Alerts
02 August 2012
Transfer Pricing: Notifications of Controlled Transactions

Law firm Pepeliaev Group reports that the Federal Tax Service of the Russian Federation has approved the documents which taxpayers will need in order to submit notifications of transactions that are subject to special control under the transfer...

Alerts
18 July 2012
In Leningrad Region, new tax benefits have been introduced for investors
Pepeliaev Group advises that the Leningrad Region legislation regarding tax benefits for investors is to undergo significant amendment.
Alerts
10 July 2012
The Russian Supreme Arbitration Court has supported the computation method for determining profit tax when the documents of the taxpayer’s counterparty are not accurate
Pepeliaev Group advises that Resolution No. 2341/12 of the Supreme Arbitration Court dated 3 July 2012 has been handed down.  It clarifies the application of article 31(1)(7) of the Russian Tax Code for the calculation of profit tax with &l...