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TRANSFER PRICING


The European Commission has proposed an optional ‘one-stop-shop’ system allowing companies to consolidate all profits and losses arising across the EU and file a single tax return.

The top 5 developments by Nick Foster-Taylor

Chris Morgan provides a round-up of recent developments

The European Commission has launched a public consultation on country-by-country reporting by multinational companies.

The ‘threat of recharacterisation’ of transactions where there are no direct comparables is ‘viewed as a significant blocker to corporate activity and growth’, AstraZeneca has claimed.

Ken Almand on HMRC’s new Statements of Practice on transfer pricing procedures

Corporate reorganisations offer significant opportunity for proactive management of internal transfer pricing and tax structures

Card image Stephanie Pantelidaki Sarah Norton Andrew Hickman

Are all comparables, like snowflakes, different?

Transfer pricing impacts many areas of multinational business.

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