Tuesday , April 29, 2025 |   06:49:21 IST
INTL TAXATION INTL MISC TP FDI LIBRARY VISA BIPA NRI
About Us Contact Us Newsletters
 
NEWS FLASH
 
Trump's Tariff Tantrums (See 'TII Edit') I-T - If assessee's employees have never visited India and direct sales to Indian customers were made from Singapore through shipment, it cannot be said that assessee has fixed place PE in India: ITAT (See Breaking News) TP - Functional dissimilarity and absence of segmental information, calls for exclusion of comparable: ITAT (See Breaking News) I-T - Foreign Tax Credit cannot be denied merely because there is delay in filing Form-67: ITAT (See Breaking News) I-T - If Contracting States to tax treaty intend to extend treaty protection to domestic company paying dividend distribution tax u/s 115-O, then only domestic company can claim treaty benefit, if any: ITAT (See Breaking News) TP - If assessee is debt free company and has recovered remittances within agreed terms, there is no red flag of excessive delay in remittance which gives impression that AE is enjoying credit facility beyond reasonable period: ITAT (See Breaking News) TP - TPO could not have determined Nil ALP for intra group services under CUP method, without bringing on record any comparable uncontrolled transaction: ITAT (See Breaking News) INTL - Merely receiving salary in India does not render it taxable if services are rendered abroad; taxation depends on place of employment, not mode of salary payment: ITAT (See Breaking News) I-T - Hypothetical entries in balance sheet and Profit and Loss can't be considered as resulting in real income/expense of assessee: ITAT (See Breaking News) TP - If assessee purchases goods from its AE and sell same to customers, without any value addition, such transaction needs to be benchmarked using RPM method: ITAT (See Breaking News) I-T - Amount which is not actually paid by Indian Branch to France HO, can't be treated as FTS in hands of HO under Article-13 of India France DTAA, and hence, can't be taxed in hands of assessee: ITAT (See Breaking News) TP - Entity which undertakes R&D activities and own intellectual property in form of technology and brand, cannot be compared with software developer: ITAT (See Breaking News) DTAA - Capital loss incurred under I-T Act r/w Art 13(5) of India-Ireland DTAA can't be set off against short term capital gain derived from sale of rights of entitlement: ITAT (See Breaking News) TP - AO must provide opportunity of hearing to assessee before transfering his case to TPO, if there is potential of income arising on determination of ALP of international transaction/ specified domestic transaction: HC (See Breaking News) TP - Comparable company be dropped, where a prior order recalling the inclusion of this company is final and binding: ITAT (See Breaking News) TP - If ITAT has rightly decided ground pertaining to upward adjustment of international transaction of payment of guarantee fees to AE in favour of Assessee, no writ interference is warranted: HC (See Breaking News) I-T- Re-assessment proceedings are invalid where reasons recorded by AO are issued after issuing re-assessment notice: ITAT (See Breaking News) I-T - Role of remitter banker is simply to follow extant procedure and to deduct Tax at source as prescribed under statute: ITAT (See Breaking News) I-T - If payroll of assessee is in India during assignment period but entire salary reported in Form No.16 is cross charged to Singapore entity, then AO must examine no.of days assessee had worked in India before deciding its taxability: ITAT (See Breaking News) I-T - If assessee is not having any PE in India and is covered by India US DTAA and MOA, nature of services rendered by assessee on account of which received remunerations can't be described as FIS: ITAT (See Breaking News)
 
TII SEARCH
 
 
   
Home >> News Brief
 

Debt markets in Emerging economies grow to USD 3 trillion in 2024: OECD 
By TII News Service
Mar 21, 2025 , Paris

    
Untitled Document

THE OECD has released the second edition of the Global Debt Report, which notes that global debt markets played a key role in supporting the recoveries from the 2008 financial crisis and COVID-19 pandemic, continuously providing capital to governments and companies. But their role needs to shift from supporting recovery to financing investment and growth. This will be a challenge. Debt levels are already high and increasingly costly, economic growth is slowing, and geopolitical risks are rising. 

Sovereign bond issuance in OECD countries is projected to reach a record USD 17 trillion in 2025, up from USD 14 trillion in 2023. Emerging markets and developing economies' (EMDE) figures from debt markets has also grown significantly, from around USD 1 trillion in 2007 to over USD 3 trillion in 2024. The outstanding global stock of corporate bond debt reached USD 35 trillion at the end of 2024, resuming a long-term trend of over two decades of consecutive increases in indebtedness that came to a temporary halt in 2022.

Sovereign bond issuance in OECD countries is projected to reach a record USD 17 trillion in 2025, up from USD 14 trillion in 2023. Emerging markets and developing economies' (EMDE) figures from debt markets has also grown significantly, from around USD 1 trillion in 2007 to over USD 3 trillion in 2024. The outstanding global stock of corporate bond debt reached USD 35 trillion at the end of 2024, resuming a long-term trend of over two decades of consecutive increases in indebtedness that came to a temporary halt in 2022.

In recent years, a significant amount of debt has been refinanced at higher yields compared to the original issues. As a result, interest payment to GDP ratios increased in about two-thirds of OECD countries in 2024 and reached 3.3%, an increase of 0.3 percentage points compared to 2023. This means spending on interest payments is greater than government expenditure on defence in the OECD on aggregate. Looking ahead, 42% of total sovereign debt and 38% of all outstanding corporate bond debt is set to mature in the next three years.

 
 
INTL TAXATION INTL MISC TP FDI LIBRARY VISA BIPA NRI TII
  • DTAA
  • Circulars (I-T Act, 1922)
  • Limited Treaties
  • Other Treaties
  • TIEAs
  • Notifications
  • Circulars
  • Relevant Sections of I-T Rules,1962
  • Instructions
  • Administrative Orders
  • DRP Panel
  • I-T Act, 1961
  • MLI
  • Relevant Portion of I-T Act,1922
  • GAAR
  • MAP
  • OECD Conventions
  • Draft Guidelines
  • DTC Bill
  • Committee Reports
  • FATCA
  • Intl-Taxation
  • Finance Acts
  • Manual on EoI
  • UN Model Taxation
  • Miscellaneous
  • Cost Inflation Index
  • Union Budget
  • Information Security Guidelines
  • APA Annual Report
  • APA Rules
  • Miscellaneous
  • Relevant Sections of Act
  • Instructions
  • Circulars
  • Notifications
  • Draft Notifications
  • Forms
  • TP Rules
  • APA FAQ
  • UN Manual on TP
  • Safe Harbour Rules
  • US Transfer Pricing
  • FEMA Act
  • Exchange Manual
  • Fema Notifications
  • Master Circulars
  • Press Notes
  • Rules
  • FDI Circulars
  • RBI Circulars
  • Reports
  • FDI Approved
  • RBI Other Notifications
  • FIPB Review
  • FEO Act
  • INTELLECTUAL PROPERTY
  • CBR Act
  • NBFC Report
  • Black Money Act
  • PMLA Instruction
  • PMLA Bill
  • FM Budget Speeches
  • Multimodal Transportation
  • Vienna Convention
  • EXIM Bank LoC
  • Manufacturing Policy
  • FTDR Act, 1992
  • White Paper on Black Money
  • Posting Policy
  • PMLA Cases
  • Transfer of Property
  • MCA Circular
  • Limitation Act
  • Type of Visa
  • SSAs
  • EPFO
  • Acts
  • FAQs
  • Rules
  • Guidelines
  • Tourist Visa
  • Notifications
  • Arbitration
  • Model Text
  • Agreements
  • Relevant Portion of I-T Act
  • I-T Rules, 1962
  • Circulars
  • MISC
  • Notification
  • About Us
  • Contact Us
  •  
     
    A Taxindiaonline Website. Copyright © 2010-2025 | Privacy Policy | Taxindiainternational.com Pvt. Ltd. OPC All rights reserved.