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This week on Talking Tax, Webridge Technology Global Tax Adviser Hernan Katz discusses the lessons multinational corporations ...
Vodafone Global Services Private Limited Vs ACIT (ITAT Pune) Foreign Exchange Gains linked to trading transactions formed part of operating income in Transfer Pricing Adjustment Conclusion: Since the ...
Ajay Singh Vs ACIT (ITAT Delhi), ITA No. 1934/Del/2023, 07 February 2025: – Basic Issue of the Case Key concern in this case was whether reassessment initiated by AO u/s. 148 of IT Act, 1961 for AY ...
The Texas Tech Red Raiders are reportedly in the hunt for Miami transfer Divine Ugochukwu. As a freshman for the Hurricanes, Ugochukwu finished the year averaging 5.3 points, 2.3 assists, and 1.9 ...
Any perceived tax efficiency achieved by a non-arm’s-length transfer policy could easily be overwhelmed by a transfer pricing dispute with the potential for large professional fees and additional tax, ...
Transfer pricing issues have been slowly appearing in the regular audits of the BIR, although scrutiny is generally limited to (i) only specific types of transactions, such as imposing interest on non ...
In the context of BPO companies, the CUP method can be applied in situations where the services provided by an entity (i.e., IT support, customer service, finance and accounting, etc.) are also being ...
In our Asia Transfer Pricing Brief for Q3 2024, we highlight the latest transfer pricing developments across Asian markets: OECD released the ninth edition of Tax Policy Reforms: Many countries have ...
Transfer pricing remains a strategic focus for multinational corporations, intricately linked to their global tax strategies and compliance frameworks.
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