In today’s fast-evolving tax landscape, businesses need more than compliance - they need innovation. Our Tax Transformation and Technology team helps organizations reimagine their tax functions, integrating advanced technology to drive efficiency, accuracy, and strategic insight.
We specialize in end-to-end transformation, automating workflows, optimizing data management, and leveraging analytics to enhance decision-making. Whether it’s streamlining corporate income tax compliance, improving indirect tax reporting, or modernizing transfer pricing processes, we tailor solutions that fit the unique needs of each client.
Our expertise spans all tax domains and all industry sectors. From multinational corporations to fast-growing enterprises, we work across industries to develop scalable, future-proof tax functions that meet regulatory demands while unlocking new opportunities for value creation.
By combining deep technical tax knowledge with cutting-edge technology, we don’t just solve tax challenges—we turn tax into a strategic advantage. Let’s shape the future of your tax function together.
We provide the following tax transformation and technology offerings:
- Governance
- Tax technology services
- Tax technology advisory
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The EU Tax Omnibus: a major simplification of the EU direct tax framework
July 23, 2026
On 24 June 2026, the European Commission published its “Tax Omnibus” proposal (“Proposal”) — a single proposed Council Directive amending six EU direct tax directives, with an estimated EUR 6.6 billion in annual compliance cost savings.
EU DAC Recast Proposal: What the European Commission’s simplification agenda means for cross-border tax reporting
July 23, 2026
On June 24, 2026, the European Commission published a proposal to recast the Directive on Administrative Cooperation in the field of taxation (DAC) as part of an ambitious tax simplification package designed to simplify existing EU tax rules and reduce compliance for businesses.
Delhi High Court Rules that Reimbursement of Salary Cost for Seconded Employees Constitutes FTS Where Home Entity Retains Lien and Overarching Control
July 23, 2026
The Delhi High Court (HC), on June 18, 2026, in Ernst & Young U.S. LLP (EY US) has, inter alia, ruled that in the given facts, EY US retained ‘lien’ over seconded employees in India and cost-to-cost reimbursements of such seconded employees were taxable as Fees for Technical Services (FTS) under both Section 9(1)(vii) of the Income-tax Act, 1961 (Act), and Article 12 of the India–US Tax Treaty (Tax Treaty).
Thai Customs Introduces Revised Reward System: Key Implications for Business
July 10, 2026
New Thai Customs rewards rule reshapes officer allocations but preserves core incentives, keeping enforcement pressure high. Reassess exposure now, especially on valuation, tariff codes, origin claims, and related-party payments.