India: The expenditure specifically incurred for Indian taxpayers’ market cannot be construed to benefit the AE

20 June, 2018

On 14 May 2018, the Delhi Bench of the Income-tax Appellate Tribunal ruled its decision on the transfer pricing (TP) case of BMW India Pvt. V. ACIT (ITA No 6160 / Del. / 2014) in favor of the taxpayer. The court held that, expenses that are

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Indian APA accepts customs valuation as arm’s length price for transfer pricing

23 March, 2018

Recently, the Central Board of Direct Taxes (CBDT) has entered into an advance pricing agreement (APA) where the price determined by the Indian Customs authorities was accepted as arm’s length price for import transactions for transfer pricing

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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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India: The Tribunal considers the AMP costs to be the customs value of the transaction

28 February, 2018

The Delhi Customs Excise & Service Tax Appellate Tribunal (CESTAT) in a recent case, upheld the AMP (Advertisement, Marketing and Promotion) expenses to the transaction value declared for customs purposes. In that case, the appellant was a

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Mozambique: Council of Ministers approves first transfer pricing regulations

31 January, 2018

On December 6, 2017, the Council of Ministers has approved the first Transfer Pricing (TP) Regulations by Decree 70/2017. The Decree became in force on or after the January 1, 2018. According to Decree, one company is considered to be related to

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Japan issues guidance concerning customs valuation opinion

20 July, 2017

Japan’s customs bureau has recently issued guidance “customs valuation opinion” concerning how retroactive transfer price adjustments are to be addressed from a customs valuation perspective. The customs agency will consider adjustments as

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Finland: Tax administration publishes guidance on the allocation of profits to PEs

17 July, 2017

On 13 June 2017, the Tax Administration published guidance on the allocation of profits to a permanent establishment (PE). A permanent establishment in Finland is liable to Finnish taxation on profits arising in Finland. Permanent establishment

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Vietnam publishes guidance on new transfer pricing requirements

09 July, 2017

The Ministry of Finance on 22 June 2017 published Circular 41/2017 / TT-BTC (28 April 2017), which provides some guidelines for the application of Decree No 20/2017 and this Circular will take effect on 1 May 2017. Circular 41/2017 introduced some

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Platform for Collaboration on Tax issues toolkit on comparables

28 June, 2017

On 22 June 2017 the Platform for Collaboration on Tax (PCT) published a toolkit with guidance for developing countries on dealing with the problem of accessing appropriate comparable data when preparing a transfer pricing study. The PCT was set up

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Turkey: Council of Minister proposes transfer pricing provisions

06 June, 2017

A draft Communique regarding transfer pricing has been published in Turkey. It generally represents measures of the OECD’s base erosion and profit shifting (BEPS) Action 13 on country-by-country reporting and transfer pricing documentation. The

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Singapore: Cost-plus mark-up method for routine service provider companies

21 May, 2017

The Inland Revenue of Singapore has recently clarified its practice that allows service providers companies which provide "routine support services" to adopt the cost-plus mark-up method. The routine support services are such that service companies

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China issues new TP and MAP rules

10 April, 2017

On 1 April 2017, The State Administration of Taxation (SAT) of China published a Bulletin-6 providing new transfer pricing (TP) guidance and strengthening the Mutual Agreement Procedure (MAP) process. Bulletin 6 is effective from 1 May

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India: Tribunal holds that resale price method is most appropriate method

27 February, 2017

The Delhi Bench of the Income-tax Appellate Tribunal in the case of: Swarovski India Private Ltd. v. ACIT (ITA No. 5621/Del/2014 and ITA No. 5622/Del/2014), held that the resale price method is the most appropriate method to benchmark an

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Colombia: Tax reform 2016 and Transfer Pricing Updates

16 February, 2017

In accordance with law 1819 of 2016, adopting the structural tax reform bill approved on 23 December 2016, introduces the following main changes to the transfer pricing regime. According to article 260-3 of the Tax Code (TC), as amended by the tax

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Ecuador introduces new TP regulations to exports

29 January, 2017

The Internal Revenue Service of Ecuador has issued a Resolution that was published in the official gazette on 30 December 2016. The Resolution launches transfer pricing (TP) regulations applicable to exports of bananas, oil, petrol, gold, silver,

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Peru :Amendments to Transfer Pricing rules

10 January, 2017

In Peru, Law Decree No. 1312 was published on 31 December 2016. The Decree amended the existing Transfer pricing reporting requirement by accepting the proposed changes by the Organization for Economic Cooperation and Development (OECD) within the

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Azerbaijan-Published amendments to the Tax Code related to Transfer Pricing rules

08 January, 2017

The new amendments to the Azerbaijani Tax Code were published on 25 December 2016. The amendments introduced new Transfer Pricing provisions to the Tax Code. These amendments are effective from 1 January 2017. According to the new rules taxes may

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India:Transfer pricing method applies uniformly to all international transactions

25 November, 2016

The Delhi High Court, in the case of: Magneti Marelli Powertrain India Pvt. Ltd. v. DCIT (ITA 350/2014), held that taxpayer’s contractual obligation to make a payment as per business and commercial requirements and arrangements cannot ipso facto

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