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TRANSFER-PRICING


Dinesh Yogendra and Sam Boundy (EY) set out how tax advisers should approach tax due diligence where tax insurance is used on a transaction.
 
Paul Daly (BDO) explains how a recent case has put the relationship between the two under the spotlight, with uncertain consequences for taxpayers.
 
Richard Jeens (Slaughter and May) reviews a busy year for tax disputes, both in terms of the scale and number of DPT and transfer pricing enquiries and a number of significant court decisions.
 
Philip Greenfield (PwC) reports on the extent to which countries have started to adopt the BEPS recommendations. 
 
Tim Sarson (KPMG) reviews the latest developments in the international tax world.
 
Tim Sarson (KPMG) reviews the latest developments in the international tax world.
 
Ian Hyde and Catherine Robins (Pinsent Masons) consider how the dispute resolution measures in the MLI match up to concerns expressed in an earlier ICC survey.
 
Tim Sarson (KPMG) takes over Chris Morgan’s long-running update on international issues. This month, Tim examines developments on BEPS, state aid and transfer pricing, among others.

 

Dominic Robertson and Isabel Taylor (Slaughter and May) consider the Apple state aid decision and its impact on other businesses.

Kelly Stricklin-Coutinho (39 Essex Chambers) reviews a recent European Commission Communication which includes guidance on its application of the notion of state aid to tax.
 
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