The Tax Information Exchange Agreement between Bermuda and South Korea entered into force and became effective on 13 February 2015.
Once requested for information by one state, the other state is obligated to release the information in 90 days unless the information contains business secrets or classified business processes. If there are other legitimate reasons to reject the request by one state, the other state is required to provide a reasonable explanation.Back to News
Maastricht University - 5th Global Tax Policy Conference: Tax Policy after BEPS, what can be expected? On 6 September 2019 at the Royal Museums of Arts and History in Brussels, Prof. Dr Hans van den Hurk, chairman of the Annual Global Tax Policy Conference of the Maastricht Centre for Taxation (Maastricht University) with his esteem speakers are addressing the above question.Read more