Australia: Amended the Transfer Pricing Rules as per 2015 OECD Transfer Pricing Recommendations

May 05, 2016

Australia's transfer pricing legislation currently specifies that it be interpreted to achieve consistency with the OECD transfer pricing guidelines as last updated in 2010. The OECD's final report on Action Items 8-10 of the G20/OECD BEPS Action

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Austria: Ministry of Finance Publishes Guidance on Mutual Agreement and Arbitration Procedures

April 27, 2015

The Ministry of Finance published guidance on 31 March 2015 regarding mutual agreement and arbitration procedures under tax treaties and under the EU Arbitration Convention (90/436 on the Elimination of Double Taxation in connection with the

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Germany: New regulations approved by German Parliament on the application of the arm’s length principle to profit allocations

March 27, 2015

New regulations approved by The Upper House of the German Parliament on the application of the arm’s length principle to profit allocations between head office and permanent establishments, which follow the authorized OECD approach (AOA) and is

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OECD: Meeting of Task Force on Tax and Development

March 24, 2015

On 18 March 2015 the OECD’s Task Force on Tax and Development met to consider the input resulting from regional network meetings on base erosion and profit shifting (BEPS). The meeting also considered capacity building support provided to

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OECD Releases Discussion Draft on Revisions to Transfer Pricing Guidelines

December 19, 2014

A discussion draft was released by the OECD on 19 December 2014 setting out revisions to the OECD transfer pricing guidelines as a result of actions 8, 9 and 10 of the action plan on base erosion and profit shifting. These actions are quite closely

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