Mondaq Europe: Tax > Transfer Pricing
Wolf Theiss
Amendments to the Bulgarian tax law addressing the introduction of mandatory transfer pricing documentation for transactions with related parties have been recently implemented.
Elias Neocleous & Co LLC
The relevant disclosure requirements must be followed by intermediaries and, in some instances, taxpayers.
DLA Piper
On July 2, 2019, the Dutch government published the legislative proposal implementing the EU Anti-Tax Avoidance Directive II (ATAD II) that was adopted on May 29, 2017.
Arnold & Porter
Our Advisory explores the potential impact of the German government's draft amendment to the real estate transfer tax law.
Matheson
On 2 September 2019, the Irish Department of Finance issued a feedback statement outlining changes that will be made to the Irish transfer pricing rules with effect from 1 January 2020.
Arnone & Sicomo
The expression "transfer pricing" refers to an operation aimed at transferring income to another country (usually a low tax country), through the application, in infragroup transfers, of lower fees than those applied in transfers between independent companies.
KPMG Luxembourg
Luxembourg has recently enacted a new intellectual property (IP) regime in line with the OECD recommendations for more tax transparency, and in June an administrative circular was issued to help clarify this regime.
ATOZ Tax Advisers
On 8 August 2019, a draft law implementing the Council Directive (EU) 2018/822 of 25 May 2018 as regards mandatory automatic exchange of information in the field of taxation in relation to reportable
ATOZ Tax Advisers
On 8 August, the draft law (the "draft law") implementing the EU Directive 2017/952 of 29 May 2017 ("ATAD 2") amending Directive (EU) 2016/1164
Dentons
Александр Зубач присоединился
Dentons
До прихода в Dentons более 10 лет Наталья работала в крупнейших аудиторских фирмах – KPMG и PwC.
Dentons
24.06.2019 Арбитражный суд Омской области вынес решение по делу общества с ограниченной от&#
Duff and Phelps
The total adjustments at issue were 37 million Euros.
Walder Wyss Ltd.
Corporate Tax Comparative Guide for the jurisdiction of Switzerland, check out our comparative guides section to compare across multiple countries
Baer & Karrer
The amount of outbound and inbound M&A transactions continued to grow in 2018. The record-breaking 493 transactions involving Swiss companies and investors were reported
Nazali
Çok uluslu işletmelerde, grup şirketleri arasında gayri maddi varlıkların transferi veya kiralanması gibi işlemlerde uygulanan tek taraflı fonksiyon analizi, adaletli bir sonuç vermemekte ve birçok ülke için ...
Hogan Lovells
The policy behind SDIL is to reduce childhood obesity by encouraging producers to change the recipes and lower the sugar content of the drinks. The Government estimates that over 50% of
DLA Piper
The DLA Piper Transfer Pricing Team recently presented a series of Transfer Pricing Masterclasses on a variety of topics.
Evris Law Firm
The year 2019 could become a year of far-reaching changes in international tax for Ukraine.
TMF Group
Empresas de todos os tamanhos – em qualquer lugar do mundo – são afetadas de alguma maneira por estas tendências, então é importante tomar as medidas necessárias para garantir que suas operações estejam
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Baer & Karrer
The amount of outbound and inbound M&A transactions continued to grow in 2018. The record-breaking 493 transactions involving Swiss companies and investors were reported
ATOZ Tax Advisers
On 8 August, the draft law (the "draft law") implementing the EU Directive 2017/952 of 29 May 2017 ("ATAD 2") amending Directive (EU) 2016/1164
Matheson
On 2 September 2019, the Irish Department of Finance issued a feedback statement outlining changes that will be made to the Irish transfer pricing rules with effect from 1 January 2020.
KPMG Luxembourg
Luxembourg has recently enacted a new intellectual property (IP) regime in line with the OECD recommendations for more tax transparency, and in June an administrative circular was issued to help clarify this regime.
ATOZ Tax Advisers
On 8 August 2019, a draft law implementing the Council Directive (EU) 2018/822 of 25 May 2018 as regards mandatory automatic exchange of information in the field of taxation in relation to reportable
Wolf Theiss
Amendments to the Bulgarian tax law addressing the introduction of mandatory transfer pricing documentation for transactions with related parties have been recently implemented.
Hogan Lovells
The policy behind SDIL is to reduce childhood obesity by encouraging producers to change the recipes and lower the sugar content of the drinks. The Government estimates that over 50% of
Dentons
Александр Зубач присоединился
Elias Neocleous & Co LLC
The relevant disclosure requirements must be followed by intermediaries and, in some instances, taxpayers.
Gibson, Dunn & Crutcher
Tax authorities around the world are trying to understand the fundamental drivers of the digital transformation of the global economy, with the
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