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Regulatory and Tax Litigation

Reform of the Federal Law of Administrative Litigation: digitalization, summary proceedings and new challenges in tax and customs litigation

On April 29, 2026, the ruling that amends several provisions of the Federal Law of Administrative Litigation Procedure ("LFPCA") was published in the Parliamentary Gazette of the Chamber of Deputies.…

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June 10, 2026
Read more about the article Reform of the Federal Law of Administrative Litigation: digitalization, summary proceedings and new challenges in tax and customs litigation
Regulatory and Tax Litigation

General Foreign Trade Rules 2026: increased controls, traceability and compliance risks

On December 27, 2025, the General Foreign Trade Rules for 2026 and its Annex 13, applicable to foreign trade and customs operations during the 2026 fiscal year, were published. These…

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June 10, 2026
Read more about the article General Foreign Trade Rules 2026: increased controls, traceability and compliance risks
Regulatory and Tax Litigation

Tax Regularization Program 2026: progress, practical criteria and risks as of May 2026

The 2026 Tax Regularization Program represents a relevant alternative for individuals and corporations with tax debts corresponding to fiscal year 2024 or prior years, provided that their total income in…

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June 10, 2026
Read more about the article Tax Regularization Program 2026: progress, practical criteria and risks as of May 2026
Regulatory and Tax Litigation

Initiative to include a wealth tax in the Income Tax Law.

On March 3, 2026, an initiative to amend the Income Tax Law (Ley del Impuesto sobre la Renta, LISR) was presented before the Chamber of Deputies, with the purpose of…

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March 17, 2026
Read more about the article Initiative to include a wealth tax in the Income Tax Law.
Regulatory and Tax Litigation

Keys to the new Article 49 Bis of the Federal Tax Code.

By José Luis Álvarez Sánchez On November 7, 2025, a relevant reform to the Federal Tax Code was published, which significantly strengthens the powers of the SAT regarding digital tax…

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January 27, 2026
Read more about the article Keys to the new Article 49 Bis of the Federal Tax Code.
Regulatory and Tax Litigation

Miscellaneous Tax Ruling 2026: main changes, new obligations and tax risks for companies in Mexico

On December 28, 2025, the Miscellaneous Tax Resolution for 2026 (RMF 2026) was published, one of the most relevant instruments of the Mexican tax system, since it defines operating rules,…

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January 27, 2026
Read more about the article Miscellaneous Tax Ruling 2026: main changes, new obligations and tax risks for companies in Mexico
Labor and Social Security / Regulatory and Tax Litigation

New fiscal stimulus for the agricultural sector: reduction in IMSS contributions for casual farm workers in 2026

By Javier Ambriz and Pablo del Valle On December 17, 2025, a decree was published in the Official Gazette of the Federation updating and extending the tax benefits applicable to…

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December 19, 2025
Read more about the article New fiscal stimulus for the agricultural sector: reduction in IMSS contributions for casual farm workers in 2026
Corporate/M&A / Regulatory and Tax Litigation

Economic Package 2026: Tax changes, macroeconomic outlook and their impact on taxpayers in Mexico

On Monday, September 8, 2025, the Ministry of Finance and Public Credit (SHCP) presented before the Chamber of Deputies the 2026 Economic Package, comprised of the General Economic Policy Criteria,…

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September 29, 2025
Read more about the article Economic Package 2026: Tax changes, macroeconomic outlook and their impact on taxpayers in Mexico
Regulatory and Tax Litigation

Amparo Law Reform 2025: Key Implications

On September 15, 2025, the President's Office of the Republic presented to the Chamber of Deputies an initiative for a profound reform of the Amparo Law, which seeks to update…

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September 19, 2025
Read more about the article Amparo Law Reform 2025: Key Implications
Regulatory and Tax Litigation

Supreme Court Declares the Unconstitutionality of Mandatory Pretrial Detention in Tax Crimes

On August 20, 2025, through publication in the Diario Oficial de la Federación, the Plenary of the Supreme Court of Justice of the Nation (SCJN) formally declared invalid: Article 167,…

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August 27, 2025
Read more about the article Supreme Court Declares the Unconstitutionality of Mandatory Pretrial Detention in Tax Crimes
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Recent Posts

  • Reform of the Federal Law of Administrative Litigation: digitalization, summary proceedings and new challenges in tax and customs litigation
  • Tax Regularization Program 2026: progress, practical criteria and risks as of May 2026
  • General Foreign Trade Rules 2026: increased controls, traceability and compliance risks
  • Home-based work for rains and digital disconnection for all? The initiative that employers should follow closely
  • Wage integration: Supreme Court reinforces the principle of reality over contractual formalities

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