Mondaq Latin America: Tax > Transfer Pricing
Tauil & Chequer
Welcome to the fourth edition of the Brazil Tax Round-Up, our newsletter on tax-related developments in Brazil. This July issue summarizes:
Gaia Silva Gaede Advogados
The recent Normative Ruling 1,870/2019 has amended Brazilian domestic legislation on transfer pricing, clarifying some details on how it is calculated.
Gaia Silva Gaede Advogados
The Federal Revenue Office issued the Private Letter Ruling 95/2018, which has analyzed the transfer pricing calculation through the Resale Price Method by a company that imports steel bars and cut them into pieces for the resale in the domestic market.
Gaia Silva Gaede Advogados
Tem sido muito comemorada, pelas multinacionais estrangeiras presentes no Brasil, a recente Solução de Consulta COSIT nº 95, publicada em 30 de agosto de 2018, por meio da qual a Receita Federal ...
DLA Piper
Colombia's National Directorate of Taxes and Customs (DIAN) released detailed guidelines (the Guidelines) to clarify the procedure for Advanced Transfer Pricing Agreements
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
Sanchez Devanny
On May 11, 2019, the Second Section of the Superior Chamber of the Federal Tax Court issued two isolated rulings in relation
Mazars
Proveerá a la AT de información global del Grupo Multinacional (MNE) al que el contribuyente (local) pertenece.
Mazars
Find out what our experts have to say about the update of the Transfer Pricing Obligations in Mexico for the Fiscal Year 2019.
Mazars
Descubra lo que nuestros expertos tienen que decir sobre la actualización de las obligaciones en materia de PT en México para el Ejercicio Fiscal 2019.
Mazars
Provides the TA with global information about the Multinational Enterprise Group (MNE) to which the (local) taxpayer belongs.
Chevez Ruiz Zamarripa
Mexican taxpayers are obliged to determine their taxable income and authorized deductions derived from related party transactions considering the prices
Dentons
Law 52 of October 17, 2018, which regulates call centers activities for commercial use amends the tax incentives received by these companies.
Morgan & Morgan
The regulation of Transfer Pricing is one of the mechanisms through which the Directorate General of Revenue (DGI) seeks to avoid the erosion of the tax base.
Morgan & Morgan
With the enactment of Law 57 of October 24th, 2018 that modifies Law 41 of 2007, creating a Special Regime for the Establishment and Operation of Multinational Headquarters and the Commission of Multinational Headquarters, ...
TMF Group
Landlocked Paraguay is bordered by some of South America's biggest economies - Brazil to the east, Argentina to the southwest - but it hasn't bowed to competition.
TMF Group
Las obligaciones en relación a los precios de transferencia en Perú se están regulando más cuidadosamente que nunca.
Harris Gomez Group
Transfer pricing is typically defined as the value (price) placed between related parties in their cross-border transactions
TMF Group
Transfer Pricing obligations in Peru are now being regulated in more detail than ever before.
Tauil & Chequer
Welcome to the fourth edition of the Brazil Tax Round-Up, our newsletter on tax-related developments in Brazil. This July issue summarizes:
Most Popular Recent Articles
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
Tauil & Chequer
Welcome to the fourth edition of the Brazil Tax Round-Up, our newsletter on tax-related developments in Brazil. This July issue summarizes:
DLA Piper
Colombia's National Directorate of Taxes and Customs (DIAN) released detailed guidelines (the Guidelines) to clarify the procedure for Advanced Transfer Pricing Agreements
Chevez Ruiz Zamarripa
Mexican taxpayers are obliged to determine their taxable income and authorized deductions derived from related party transactions considering the prices
Morgan & Morgan
With the enactment of Law 57 of October 24th, 2018 that modifies Law 41 of 2007, creating a Special Regime for the Establishment and Operation of Multinational Headquarters and the Commission of Multinational Headquarters, ...
Tauil & Chequer
Welcome to the fourth edition of the Brazil Tax Round-Up, our newsletter on tax-related developments in Brazil. This July issue summarizes:
Dentons
Law 52 of October 17, 2018, which regulates call centers activities for commercial use amends the tax incentives received by these companies.
Mazars
Find out what our experts have to say about the update of the Transfer Pricing Obligations in Mexico for the Fiscal Year 2019.
Sanchez Devanny
On May 11, 2019, the Second Section of the Superior Chamber of the Federal Tax Court issued two isolated rulings in relation
Mazars
Provides the TA with global information about the Multinational Enterprise Group (MNE) to which the (local) taxpayer belongs.
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