![]() Transfer pricing controversy has become more frequent and complex following the OECD’s BEPS initiative. Transfer pricing controversy, strategy and future direction Deloitte’s Eric Lesprit, Sanjay Kumar and Joseph Tobin focus on recent TP controversy developments in three: France, India, and the US. Transfer pricing (TP) controversies have arisen in all countries. Deloitte’s Tony Anderson, Alex Evans, Mariusz Kazuch, Rafal Sadowski and Lian Tang He explore changes in Canada, China and Poland.Ĭhicken or the egg: TP, BEPS, and local- country legislationĪre transfer pricing controversy cases on the rise because of the OECD’s BEPS initiative or local country legislation? Deloitte’s Stan Hales and John Henshall explore the dynamic globally.Ī national perspective: TP controversy in France, India, and the US Public and political pressure has seen tax authorities play closer attention to transfer pricing. What the tax authorities are up to: Key audit trends globally With costs and processing times falling, Deloitte’s Kerwin Chung, Aldo Castoldi, and Luke Tanner discuss their implications in the US, Japan and Europe. Multinationals are increasingly resorting to advance pricing agreements (APAs) to manage tax disputes globally. Deloitte’s global transfer pricing practice, in partnership with International Tax Review present the 2019 edition of the Transfer Pricing Controversy Guide, a discussion and overview of the leading issues, challenges and opportunities around transfer pricing (TP) controversy.ĪPAs: A leading practice to resolve and avoid TP disputes
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