Our collection of news is focused on international tax and transfer pricing.
Romania’s Ministry of Finance has released a draft administrative form to support the implementation of its domestic Pillar Two legislation. The form enables multinational enterprise (MNE) groups operating in Romania […]
On 11 September 2024, the Cabinet of Ministers of Seychelles approved signing the Multilateral Convention to Facilitate the Implementation of the Pillar Two Subject to Tax Rule (STTR MLI). This […]
A landmark decision by the Spanish National Court has sent a strong message to multinational enterprises (MNEs): transfer pricing practices must faithfully reflect economic realities and comply with arm’s length […]
On March 7, 2025, the Turkish Revenue Administration (TRA) announced that Turkey will not adopt Amount B of Pillar One for transactions involving distributors, sales agents, and commissionaires operating within […]
In February 2025, Saudi Arabia released detailed guidelines for Advance Pricing Agreements (APAs), marking a significant step in aligning its transfer pricing (TP) regime with international standards. Issued by the […]
The Czech Supreme Administrative Court recently ruled on a transfer pricing dispute involving RR Donnelley Czech s.r.o. (RDC), reinforcing the importance of the arm’s length principle and the burden of […]
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