Global News

Tag: Transfer Pricing

Our collection of news is focused on international tax and transfer pricing.

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This article examines the Italian Supreme Court's landmark ruling that mandates the inclusion of loss-making entities in transfer pricing comparability analyses, emphasizing the importance of aligning with OECD guidelines and adopting a more comprehensive approach
The Organisation for Economic Cooperation and Development (OECD) recently announced major progress on the Inclusive Framework (IF) on Base Erosion and Profit Shifting (BEPS). Following the 16th meeting, negotiations on Pillar One are nearing completion,

Introduction:  In our current globalized economy, multinational enterprises often engage in cross-border financing transactions within their group structures. These transactions, while essential for business operations, have historically posed challenges in […]

The OECD’s Inclusive Framework (IF) recently released the Pillar One Amount B Report on February 19, 2024, marking a milestone in international tax standards. This report introduces the Simplified and […]

Type: Legislation The US has prolonged its truce on trade measures against five countries—UK, Italy, France, Spain, and Italy—imposing Digital Services Taxes (DSTs) until June 30, 2024. However, OECD Pillar […]

In the dynamic realm of international taxation, the release of Her Majesty’s Revenue & Customs (HMRC) operational guidance concerning transfer pricing and risk delineation holds profound implications for businesses operating […]

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