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This week on Talking Tax, Webridge Technology Global Tax Adviser Hernan Katz discusses the lessons multinational corporations ...
A new amendment (No. 231) to the Income Tax Ordinance aims to tighten up transfer-pricing rules in Israel for multinational groups. The amendment grants the director of the Income Tax Authority ...
Transfer pricing remains a strategic focus for multinational corporations, intricately linked to their global tax strategies and compliance frameworks.
If group revenues exceeded NIS 150 million in the preceding year, an Israeli entity must add to its transfer-pricing study a report corresponding to the OECD Master File covering various macro ...
Companies that effectively manage transfer pricing can legally reduce tax burdens, increasing after-tax earnings and potentially enhancing shareholder value.However, if the company is too ...
The UK tax authority’s proposed transfer pricing documentation requirements would significantly increase burden on multinational companies, a UK accountancy group said.
In our Asia Transfer Pricing Brief for Q1 2025, we present the latest updates on transfer pricing in Thailand, Sri Lanka, and ...
In our previous article “BIR transfer pricing audits — the next wave?,” we looked into Revenue Audit Memorandum Order (RAMO) No. 1-19 which is the current regulation in force when it comes to Transfer ...
Transfer pricing is essentially the pricing of transactions between connected companies, with the aim of the transactions being undertaken at an arm’s length or market price, she explains.
Citing different study findings, the report says Bangladesh as a Least Developed Country (LDC) is considered a vulnerable state in the fight against transfer pricing. Study findings show high rates of ...
HCs refused intervention in transfer pricing litigation on the grounds that the tax tribunal is the final fact-finding authority. An appeal to the HC lies only on a substantial question of law.