Brazil: New transfer pricing framework brings strategic shift for multinationals

09 April, 2026

Brazil has fundamentally restructured its transfer pricing system through Law No. 14,596/2023 and RFB Normative Instruction No. 2,161/2023, marking a decisive shift toward OECD standards. The arm's length principle takes centre stage The

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India: CBDT signs record 219 APAs in FY 2025-26

03 April, 2026

India’s Central Board of Direct Taxes (CBDT), under the Ministry of Finance’s Department of Revenue has announced the signing of a record 219 Advance Pricing Agreements (APAs) with Indian taxpayers in FY 2025-26. This total includes both

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Ecuador rejects OECD Pillar One Amount B safe harbour in new SRI circular

03 April, 2026

Ecuador’s Internal Revenue Service (SRI) has clarified that the OECD’s Pillar One – Amount B framework has not been adopted in the country, reaffirming that taxpayers must continue to apply existing domestic transfer pricing rules to routine

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Canada: 2025 Budget Implementation Act overhauls transfer pricing rules, scraps digital services tax 

03 April, 2026

Canada’s Bill C-15, or the Budget 2025 Implementation Act, No. 1, which received Royal Assent on 26 March 2026, introduces a major overhaul of Canada's transfer pricing regime, repeals the Digital Services Tax, and enacts a wide array of business

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Belgium issues guidance on Pillar One Amount B

01 April, 2026

The Belgian Ministry of Finance has released Circular 2026/C/45 on 19 March 2026,  introducing an addendum to the transfer pricing guidance set out in Circular 2020/C/35. The Circular clarifies how multinational enterprises should apply

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Germany updates jurisdiction list for the exchange of CbC reports

31 March, 2026

Germany has issued the Eighth Regulation Amending the Country-by-Country (CbC) Report Extension Regulation, which was published in the Official Gazette on 30 March 2026. The regulation updates the list of jurisdictions with which Germany will

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US: IRS reports decline in advance pricing agreement executions amid staffing challenges

31 March, 2026

The US Internal Revenue Service (IRS)  released Announcement 2026-08 on 30 March 2026, revealing a decline in advance pricing agreements executed during 2025. The annual report from the Advance Pricing and Mutual Agreement (APMA) Program shows

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Russia: MoF updates guidance on mutual agreement procedure requests

27 March, 2026

The Russian Ministry of Finance (MoF) published updated guidance on requesting assistance under the Mutual Agreement Procedure (MAP), setting out detailed rules for taxpayers seeking relief from double taxation under applicable double taxation

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India: CBDT rolls out 2026 income tax rules with expanded transfer pricing framework

25 March, 2026

India’s Central Board of Direct Taxes (CBDT) issued Notification No. 22/2026 on 20 March 2026 under the Income Tax Act, 2025, introducing the Income Tax Rules, 2026. The rules provide a comprehensive framework for income tax administration,

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UN Tax Committee Discusses Transfer Pricing

25 March, 2026

On 24 March 2026 the UN Committee of Experts on International Cooperation in Tax Matters discussed the workstreams for transfer pricing during the current mandate of the Committee. The subcommittee on transfer pricing presented its planned

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UN Tax Committee Discusses the Digitalised and Globalised Economy

24 March, 2026

On 23 March 2026 the UN Committee of Experts on International Cooperation in Tax Matters discussed the workstreams on the taxation of the digitalised and globalised economy. The relevant subcommittee presented its planned workstreams for comment and

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UK: HMRC updates CbC reporting guidance

24 March, 2026

UK’s His Majesty's Revenue and Customs (HMRC) updated its country-by-country reporting (CbCR) guidance on 17 March 2026, clarifying which entities must report, how to register and submit reports, and the process for agents seeking

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Vietnam: MoF drafting new transfer pricing, taxpayer obligations, CbC reporting rules

24 March, 2026

The Vietnamese Ministry of Finance (MoF) is preparing a draft Decree on tax administration for related-party transactions of enterprises with affiliated relationships, in line with the Law on Tax Administration No. 108/2025/QH15. The new

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UN Tax Committee Discusses Extractive Industries Taxation

24 March, 2026

The 32nd session of the UN Committee of Experts on International Cooperation in Tax Matters commenced on 23 March 2026. The Committee discussed the continuing work on aspects of taxation in the extractive industries. The relevant subcommittee

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OECD updates signatories list for MCAA-CbC 

18 March, 2026

The Organisation for Economic Cooperation and Development (OECD) released an updated list of signatories, along with their signing dates, for the Multilateral Competent Authority Agreement (MCAA) on the Exchange of Country-by-Country (CbC) Reports

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Korea (Rep.) introduces transfer pricing reforms, Pillar Two rollout

18 March, 2026

Korea (Rep.) has published Presidential Decree No. 36128, partially amending the enforcement Decree of the International Tax Adjustment Act, in the Official Gazette on 27 February 2026. The Decree introduces sweeping updates to its international tax

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UN: 32nd Session of Committee of Experts on Tax Cooperation

12 March, 2026

The 32nd session of the UN Committee of Experts on International Cooperation in Tax Matters is to be held from 23 to 26 March 2026. A provisional agenda has been issued, which includes the following topics: UN Model Tax Convention Work on the

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Iceland: Court of Appeals rule taxpayers must prove arm’s length pricing in related-party deals

05 March, 2026

The Icelandic Court of Appeals (Landsréttur) upheld the ruling of the District Court of Reykjavík in Iceland’s first transfer pricing case (No. 213/2025) on 19 February 2026.  The court confirmed that taxpayers must prove that related-party

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