France: Tax Authority Released The Final Version Of Abridged Documentation Report

18 September, 2014

The tax authorities of France released the final version of the tax form No 2257-SD on 16 September 2014  which is also known as the abridged documentation report, requiring some information; Information for MNE: Multinational Entity’s

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Spain: Supreme Court rules certain provisions of the transfer pricing regulations

14 August, 2014

The Spanish Supreme Court issued its final judgment regarding challenges the constitutionality of specific provisions of the transfer pricing regulations on 14 July, 2014. The Supreme Court focused the following areas; Secondary adjustment: The

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South Africa: Tax authority proposes to revise “secondary adjustment” treatment

05 August, 2014

South African tax authority has been proposed that South Africa’s transfer pricing legislation relating to “secondary adjustments” be amended. The proposal placed to the Draft Tax Laws Amendment Bill 2014. Generally, a “secondary

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Mexico: Appeal procedures for certain challenges to tax reform

28 April, 2014

Mexico’s Supreme Court of Justice (Suprema Corte de Justicia de la Nación) has postponed the hearing of appeals in amparo actions, these being legal actions that challenge the constitutionality of some measures included in the 2014 tax reform.

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India shows decline in transfer pricing adjustments

07 April, 2014

The income tax department has estimated that the number of transfer pricing adjustments in 2014 so far has fallen by 14 percent by comparison to the previous year. This may indicate that taxpayers in India are becoming more aware of the transfer

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India: Tribunal finds reimbursed advertising expenses were at arm’s length

16 March, 2014

The Mumbai Bench of the Income tax Appellate Tribunal has upheld an administrative action by the Commissioner of Income tax, to reject a proposed transfer pricing adjustment for advertising expenses reimbursed by the taxpayer to its related

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South Africa – Transfer pricing, cross-border proposals in 2014 budget

09 March, 2014

South Africa’s 2014 budget contains proposals for changes to the transfer pricing rules and cross-border taxation. Among the transfer pricing and cross-border tax provisions in the 2014 budget are the following measures: Secondary adjustment for

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US agrees to tax talks with India under mutual agreement procedure

09 February, 2014

Following an approach by India the US tax authorities for finding a solution to tax cases of about 100 US companies that have opted for the Mutual Agreement Procedure (MAP), the US has now agreed for a meeting next month to discuss MAP, advance

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France – Transfer pricing adjustments been recognized by the Appellate courts

10 December, 2013

The Administrative Courts of Appeal of France recently issued decisions affirming transfer pricing adjustments which are as follows: Lyon court of appeals The Administrative Appeals court in Lyon concluded that Frenchco exercised direction and

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Australia: Transfer Pricing being referred as “Profit Shifting”

09 December, 2013

In Australia, the recent introduction of subdivision 815 has given the Commissioner more extensive powers to transfer pricing adjustments. Subdivision 815 has made a new approach to Australia's transfer pricing analysis which goes beyond the

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India : Loan simplification services and fees of foreign branches  

18 November, 2013

In a recent decision, the Mumbai Bench of the Income-tax Appellate Tribunal found that: Services provided by a taxpayer bank were “crucial services” and  the services were not a “mere facilitation” for concluding or signing of the loan

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India – No transfer pricing adjustment required on certain interest-free advances

01 September, 2013

Recently, Income Tax Appellate Tribunal by a ruling rejected and deleted transfer pricing adjustments proposed with respect to a taxpayer’s interest-free advances made to its related party (a U.S. subsidiary) on a finding that the taxpayer had

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Norway: the amount of transfer pricing adjustments doubles

23 December, 2012

On June 22, 2012 the Norwegian tax authorities (Skatteetaten) announced total transfer pricing adjustments for 2012 of NOK 16.6 billion (approximately U.S. $ 2.8 billion / € 2.2 billion), whereas, in 2010, the total amount was NOK 8.5 billion. In

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