Mondaq All Regions: Tax > Transfer Pricing
DLA Piper
In a major victory for the mining giant, the Federal Court has found in favour of Glencore, and held that the terms operating between the Glencore Australian subsidiary ...
Crowe Advartis Accounting s.r.o.
The General Financial Directorate picked on the transfer pricing sphere again.
Skadden, Arps, Slate, Meagher & Flom (UK) LLP
On September 24, 2019, the EU General Court (General Court) issued its long-awaited judgments in relation to the appeals brought against two European Commission (EC) decisions of ...
WH Partners
On 24th September 2019 Starbucks won their appeal against the European Commission's decision of 2015, over a €30 million tax fine issued by the Commission. The General Court of the European Court ...
Loyens & Loeff
The EUGC appears to accept this would be the case even if there is no arm's length principle clearly laid down in domestic law.
McMillan LLP
The Inland Revenue Department ("IRD") issued Departmental Interpretation and Practice Notes No. 58 ("DIPN 58") on July 19, 2019 explaining the transfer pricing documentation requirements in Hong Kong.
SKP Business Consulting LLP
The concept of ‘Secondary Adjustment' was introduced in Finance Act 2017 by introducing new Section 92CE in the Indian Income Tax Act to align transfer pricing provisions with international best practices.
SKP Business Consulting LLP
Keeping with United Arab Emirates (UAE) commitment to implement recommendations of Action Plan 13 - Base Erosion and Profit Shifting (BEPS)
Maples Group
The Irish Minister for Finance announced a number of significant Irish property related tax changes on 8 October 2019 in the Irish Budget 2020.
KPMG Luxembourg
The last few years have seen some big changes in the corporate tax world – from ATAD1 & 2 and the EU Commission's anti-tax avoidance package to the recent US tax reform.
Andersen Tax LP
In the last few years, the international tax space has experienced an unprecedented drive to achieve increased transparency in the tax practices of Multinational Enterprises
Deloitte Nigeria
The Federal Inland Revenue Service (FIRS), in its bid to enhance efficiency in tax administration, is set to automate the process of filing transfer pricing (TP) returns.
Andersen Tax LP
In the wake of an increasing need for tax administrations across the globe to protect their tax base from tax evasion and avoidance, there has been increasing focus on transparency ...
PwC Nigeria
In 2017, the Federal Inland Revenue Service (FIRS) announced the introduction of six (6) new electronic services.
TNP
Just recently, the Executive Chairman of Federal Inland Revenue Service ("FIRS") announced that its revenue generation target for 2019 is N8 Trillion
Nazali
Transfer fiyatlandırması mevzuatı kapsamında çok uluslu şirketler tarafından uygulanan politikaların gümrük kıymetine olan etkileri uluslararası vergilendirme disiplininin yakın dönemde en ilgi çeken konularından biri olmuştur.
Ligomarc Advocates
A panic attack swamped my family when I made age 20.
Rimon P.C.
Incoming European Commission President Ursula van der Leyen has set out as her primary goal moving forward the mission of further unifying Europe and "protecting the European way of life."
Mayer Brown
On October 9, 2019, the OECD secretariat published a high-level proposal for the allocation of profit and the new nexus rule, the "Pillar One" of the Programme of Work to develop a consensus solution to the tax challenges ...
TMF Group
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ENSafrica
"There can be no objection in principle to the deduction of interest on loans in suitable cases. Loan capital is the life blood of many businesses
Mazars
Con fecha 20 de agosto de 2019, se publicó en el Diario Oficial de la Federación la primera modificación a la Resolución Miscelánea Fiscal para 2019
Andersen Tax LP
In the last few years, the international tax space has experienced an unprecedented drive to achieve increased transparency in the tax practices of Multinational Enterprises
DLA Piper
In a major victory for the mining giant, the Federal Court has found in favour of Glencore, and held that the terms operating between the Glencore Australian subsidiary ...
WH Partners
On 24th September 2019 Starbucks won their appeal against the European Commission's decision of 2015, over a €30 million tax fine issued by the Commission. The General Court of the European Court ...
STA Law Firm
The BEPS plan was launched during the 2008 financial catastrophe. The notion behind this launch was threefold (i) Firstly, to revise the international tax structure;
Loyens & Loeff
The EUGC appears to accept this would be the case even if there is no arm's length principle clearly laid down in domestic law.
TNP
Just recently, the Executive Chairman of Federal Inland Revenue Service ("FIRS") announced that its revenue generation target for 2019 is N8 Trillion
SKP Business Consulting LLP
We are pleased to present the latest edition of Tax Street – our newsletter that covers all the key developments and updates...
Rimon P.C.
Incoming European Commission President Ursula van der Leyen has set out as her primary goal moving forward the mission of further unifying Europe and "protecting the European way of life."
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