Vietnam gazettes decree updating transfer pricing rules

09 July, 2026

Vietnam has published Decree No. 255/2026/ND-CP, issued on 30 June 2026, introducing a new framework for tax administration of enterprises engaged in related-party transactions. The Decree sets out the principles, methods and compliance requirements

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Sweden: Court rules in favour of Kubal, overturns transfer pricing-based adjustment

22 May, 2026

Sweden’s Supreme Administrative Court has ruled in favour of Kubikenborg Aluminium AB (Kubal), overturning a transfer pricing-based adjustment made by the Swedish Tax Agency in a dispute concerning the deductibility of damages arising from an

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India: Tax authority is required to provide justification when rejecting a taxpayer’s chosen transfer pricing method

28 October, 2024

The Delhi High Court delivered a judgement regarding the tax authority's rejection of SABIC India Pvt. Ltd.'s chosen transfer pricing method, ruling that the tax authority is required to provide justification when rejecting a taxpayer's chosen

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US: IRS issues guidelines on inventory valuation methods

20 June, 2024

The US Internal Revenue Service (IRS) has released an updated practice unit on inventory valuation methods, specifically addressing the Lower of Cost or Market (LCM) approach. The practice unit's general overview comprises the following: There

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US: Tax court approves agreement resolving APA cancellation case

11 February, 2023

On 3 February 2023, the US Tax Court issued a rule approving an agreement between Eaton Corporation and the IRS to adjust Eaton's tax bill for 2005 and 2006 to USD 8.8 million. The proposal stems from lengthy litigation in both the Tax Court and

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US: Tax court issues an opinion regarding transfer pricing method

25 August, 2022

On 18 August 2022, the U.S. Tax Court issued an opinion on the transfer pricing case of Medtronic, Inc. v. Commissioner, T.C.  Memo 2022-85. Facts of the case Medtronic US is the parent company of a global medical device company that

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US: Tax Court refuses for reconsideration in transfer pricing dispute

07 December, 2021

On 26 October the US Tax Court has denied Coca-Cola’s motion for leave to file out of time a motion for reconsideration on the grounds that the application for leave would be “futile” as the court would, since the court will ultimately

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US: Coca-Cola requests tax court to reconsider transfer pricing dispute

15 June, 2021

On 2 June 2021, the Coca-Cola Company has requested the US Tax Court to reconsider a transfer pricing tax ruling that was given on 18 November 2020. Upon examination of the company’s 2007-2009 returns, IRS found that the company’s

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Finnish Supreme Administrative Court makes a decision in a transfer pricing case

09 June, 2021

On 2 June 2021, the Finnish Supreme Administrative Court issued a decision regarding the acceptability of U.S. GAAP accounting standards as a basis for transfer pricing. Background The case concerned a Finnish company owned by a low-risk

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South Africa: Court makes a decision regarding TP methods

16 February, 2021

On 7 January 2021, in the case of: ABC (Pty) Ltd v. Commissioner (IT 14305) ZATC 1,  the South African Court upheld a transfer pricing  adjustment for a taxpayer that failed to have transfer pricing documentation to support the arm’s

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Nigeria: Tax Appeal Tribunal makes a decision on a transfer pricing case

28 February, 2020

On 19 February 2020, the Tax Appeal Tribunal made a decision regarding a transfer pricing case, entitled “Prime Plastichem Nigeria Limited v Federal Inland Revenue Service (FIRS), in favour of the FIRS on all the issues raised for determination

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