Poland publishes explanatory note addressing transfer pricing comparability analyses

27 June, 2019

On 19 June 2019, Poland Ministry of Finance published an explanatory note addressing transfer pricing comparability analyses. Accordingly, database for comparables could be selected locally, regionally, or even globally by considering

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Saudi Arabia: GAZT holds seminar to simplify the transfer pricing regulations

24 June, 2019

On 17 June 2019, the General Authority of Zakat and Tax (GAZT) of Saudi Arabia has organized a transfer pricing seminar in Riyadh to simplify the key areas of the transfer pricing (TP) regulations published on 15 February 2019 and to address

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Mexico: Tax Administration Service publishes Q&As with respect to transfer pricing comparability adjustments

24 April, 2019

On 29 March 2019, the Mexican Tax Administration Service published, on its website, frequently asked questions (Q&As) regarding transfer prices with respect to comparability adjustments. However, 15 January 2019 in Mexico City Government

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India: ITAT decision on criteria for selecting transfer pricing comparable companies

18 March, 2019

The Kolkata Bench of the Income Tax Appellate Tribunal (ITAT) in the case of: Philips Medical Systems (P.) Ltd. v. ITO, held that an entity engaged in both manufacturing and trading activities cannot be a comparable company for benchmarking the

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Tanzania: Government issues new Transfer Pricing Regulations 2018

06 December, 2018

On April 27, 2018,Government has published new Income Tax (Transfer Pricing) Regulations of 2018. The regulations have issued on November 2018, which replaces the Income Tax(Transfer Pricing) Regulations 2014. This provides extra requirements

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Belgium issues draft TP guidelines for public comments

06 December, 2018

The tax authority of Belgium has published a draft Circular on the 2017 update to the Organisation for Economic Co-operation and Development (OECD) Transfer Pricing (TP) Guidelines. On 9 November 2018, the draft Circular was published by the Belgian

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Finland: Tax administration issued guidelines on the allocation of profits to PE

16 May, 2018

On 30 April 2018, the tax administration published a guideline no.A72/200/2018 on profit distribution for a permanent establishment (PE). The guidelines clarify that, upon request, a foreign company has to specify how it has allocated profits to a

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US: IRS files pre-trial memorandum against Coca Cola in transfer pricing dispute

03 March, 2018

On 15 February 2018 the IRS filed a pre-trial memorandum against The Coca Cola Company on the grounds that the transfer pricing methods used by Coca Cola were not in compliance with the arm’s length standard under section 482. The case relates to

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Australia: Consultation on Consolidation Integrity Measures

14 September, 2017

On 11 September 2017, the Minister for Revenue and Financial Services released draft tax consolidation legislation and an explanatory memorandum for public consultation. These important measures restore integrity to the tax consolidation rules. The

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Cyprus: Tax Authority issues guidance on revised transfer pricing framework

23 July, 2017

On 30 June 2017, the Cyprus Tax Authorities (CTA) published a Circular revising the transfer pricing framework for companies carrying out intra-group financing activities in Cyprus. The Circular defines intra-group financing transactions as all

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India: Income Tax Appellate Tribunal rejects internal comparable

20 June, 2017

The Ahmedabad Bench of Income-tax Appellate Tribunal on 24 may 2017, in the case of Inductotherm (India) Pvt. Ltd. v. DCIT held that "internal costs plus method" do not apply to benchmark exports of finished goods to a related party when there are

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OECD: Extended deadline for comments on draft toolkit on comparables

17 March, 2017

The deadline has been extended for comments to be submitted on the draft toolkit issued by the Platform for Collaboration on Tax dealing with the ways developing countries can overcome the problem of a lack of comparable data for transfer pricing

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OECD: Platform for Collaboration on Tax releases draft toolkit on comparables

25 January, 2017

On 24 January 2017 the Platform for Collaboration on Tax released a draft toolkit on comparables. The toolkit is designed to assist developing countries to manage situations where there is a lack of comparable transactions for use in transfer

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India: Loss making company couldn’t be excluded from comparable list if it satisfies comparability analysis

22 January, 2017

The Ahmedabad Bench of Income-tax Appellate Tribunal in case of: Erhardt+Leimer (India) Private Limited v. ACIT (ITA Nos. 3298/Ahd/2011 & 2880/Ahd/2012) held that consistent loss-making companies cannot be rejected as comparable unless the

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Jersey: Country-by-country reporting announced

16 December, 2016

The Taxation Regulation 2016 of Jersey regarding Country-by-country reporting has been made on 14th December 2016 and the regulations will entry into force on 21st December 2016. It covers a country-by-country (CbC) reporting obligation for

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Brazil: Publishes proposed Country-by-Country reporting rules

05 December, 2016

The Brazilian Federal Revenue Agency on 4 November 2016, published a proposed Normative Instruction to establish country-by-country reporting (CbCR) rules in Brazil for Multinational groups where the ultimate parent company is a resident in Brazil

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Panama: TP documentation requirements and Arm’s length principle

10 November, 2016

Decree 390 was published in the Official Gazette on 25 October 2016 to regulate the arm’s length principle established in the Fiscal Code and establishes Transfer Pricing documentation requirements. The Decree will enter into force on 1 January

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India: Factors to be used in selecting comparables

10 April, 2016

The Bangalore Bench of the Income-tax Appellate Tribunal recently provided judgment in the case of ACIT v. McAfee Software (India) Pvt Ltd, on factors such as functional comparability that are to be used in transfer pricing reports and

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