China releases 16th annual APA report (2024), highlighting strong growth, efficiency

30 January, 2026

China’s State Taxation Administration (STA) published its 16th Annual Advance Pricing Agreement (APA) Report on 25 November 2025, providing a comprehensive overview of the country’s APA programme and its development between 2005 and 2024. The

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Bulgaria: MoF updates transfer pricing rules

12 November, 2025

Bulgaria’s Ministry of Finance (MoF) issued Ordinance H-3 of 7 November 2025, updating the country’s transfer pricing framework to align with the latest OECD Transfer Pricing Guidelines. The ordinance was published in the State Gazette on 11

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OECD consults on copper transfer pricing framework

11 July, 2025

Comments are due by 5 September 2025. The OECD has initiated a public consultation on a transfer pricing framework for copper on 10 July 2025. The comment submission deadline is set for 5 September 2025. Determining the Price of Minerals: A

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Australia: Administrative Review Tribunal rules in favour of Alcoa against ATO in key transfer pricing ruling

26 May, 2025

This case focused on a major transfer pricing issue, where ATO claimed Alcoa underpriced its alumina sales to Aluminium Bahrain B.S.C. (Alba) from 1993 to 2009, causing a tax shortfall of over AUD 213 million. Australia’s Administrative Review

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Israel seeks input on local R&D centres and IP valuations

28 February, 2025

Israel’s tax authority (ITA) released a draft Tax Circular on 27 February 2025 for public comment. The circular outlines criteria and requirements for local R&D centres and post-acquisition IP sales, offering potential certainty from the

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Kazakhstan’s Transfer Pricing Legislative Amendments 2023

16 December, 2023

Kazakhstan is undergoing a pivotal transformation in its transfer pricing framework, marked by the Majilis' approval of substantial amendments to the existing legislation. The aim is to curb revenue losses, prevent capital outflow, and align with

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Italy: Revenue agency issues draft guidelines on investment management transfer pricing

07 November, 2023

On 20 October 2023, the Italian Revenue Agency issued the draft transfer pricing guidelines for implementing the Investment management exemption regime (IME). The draft was in public consultation until 3 November 2023. The IME was introduced by

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Poland releases guidelines relating to cost-plus method in transfer pricing

30 September, 2023

On 29 September 2023, Poland published formal guidance regarding the application of the cost-plus method to ensure accurate valuation of transactions involving related entities for international tax purposes. The purpose of this guide is to provide

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Malaysia: IRBM publishes transfer pricing rules 2023

02 June, 2023

On 29 May 2023, the Malaysian Inland Revenue Board of Revenue (IRBM) officially published Order No P.U. (A) 165 (TP Rules 2023) introducing a new transfer pricing documentation process effective from assessment year 2023 onwards. The main changes

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OECD: Consultation Document on Transfer Pricing for Minerals

12 May, 2023

On 10 May 2023 the OECD published a consultation document with the title Determining the price of minerals: A Transfer Pricing Framework. This is a draft toolkit to support developing countries in combating base erosion and profit shifting relating

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Poland: MoF publishes guideline on transfer pricing method

10 April, 2023

On 24 March 2023, the Polish Ministry of Finance published guidance clarifying the application of the resale price method to determine the arm's length value of transactions between related parties. The guidance focuses on practical aspects of using

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Brazil: Lower House passes transfer pricing reform measure

10 April, 2023

On 30 March 2023, the Brazilian Lower House of Congress adopted Measure No. 1,152 to overhaul its transfer pricing system that was introduced on 29 December 2022. In addition to introducing the arm's length principle into the Brazilian transfer

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OECD: Peer Review Report on the Prevention of Treaty Shopping

24 March, 2023

On 21 March 2023 the OECD released the latest peer review results following assessment of the actions taken by each country to prevent tax treaty shopping under BEPS Action 6. The Fifth Peer Review Report on Treaty Shopping assesses the

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UAE publishes new corporate tax law

23 December, 2022

On 9 December 2022, the UAE Ministry of Finance (MoF) released the Federal Decree-Law No. 47 of 2022 on business taxation to enact a new Corporate Tax Law in the UAE. The new law has been supplemented with Frequently Asked Questions (FAQs). The

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Greece: Parliament adopts a draft bill to update code of tax procedure

02 November, 2022

On 27 October 2022, the parliament of Greece adopted a tax law ratification bill for consideration. The bill includes the following measures: Includes definitions; Establishment of regulatory procedures for tax declaration and payment;

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Poland: MOF launches public consultations for TP method on resale price

13 April, 2022

On 4 April 2022, the Polish Ministry of Finance launched a public consultation on draft guidelines clarifying the resale pricing method for determining the arm's length value of transactions between associated parties. The guidance clarifies,

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Peru modifies export & import transactions reporting requirements under TP rules

04 April, 2022

On 26 March 2022, Peru issued Legislative Decree No. 1537 in the official gazette regarding relaxing the term for the presentation of the communication of exported and imported goods and the obligation of the information to be registered in said

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Russia: FTS clarifies the application of transfer pricing control under sanctions

24 March, 2022

On 14 March 2022, the Federal Tax Service (FTS) published guidance (Letter No. ШЮ-4-13/2724) stipulating that the application of sanctions against Russian individuals and legal entities may adversely affect the economic conditions of the

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