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As a part of the ongoing BEPS 2.0 project on addressing tax challenges related to the digitalization of the economy, the OECD, on December...
Five reasons multinational enterprises should review their transfer pricing positions!
The U.S. Tax Court in the case of Whirlpool Financial Corp. v. Commissioner, Nos. 1899/1900 upheld the Internal Revenue Service’s (IRS)...
Today Multinational organizations are facing various challenges due to stringent transfer pricing audits from the tax authorities global...
Recently the U S Tax Court issued its second opinion in the case of Medtronic, Inc and Consolidated Subsidiaries vs Commissioner for det...
In recent years, transfer pricing audits have become more common in the United States, with the Internal Revenue Service (IRS) taking a...
On February 1st, Spain’s Official Gazette published the general guidelines of the Tax and Customs Control Plan for the year 2021. Follo...
One of the things I love about attending conferences like TP Minds International last week is that (as an adviser) you get insights into...