TPWeek’s top picks for 2013

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TPWeek’s top picks for 2013

It has been a very busy year for international transfer pricing developments. Check out TPWeek’s top picks for 2013.



UK House of Commons debate on corporate tax avoidance

How Vale mining got its tax so wrong in Brazil and Switzerland

How to calculate the UK patent box

What the US bilateral safe harbour should look like

Indian guidance on R&D centres fails to reduce taxpayer confusion

SAT’s Liao Tizhong emphasises China’s commitment to developing its transfer pricing regime

Australian TP Bill: ongoing losses, financing structures and business restructuring at risk

Norwegian interest deduction proposals could force companies to consider mergers or group contribution arrangements

UN China chapter: Issues raised on contract R&D

Shell India’s impact on corporates: Issuing shares to overseas parents at an alleged discount

Global head of tax’s guide to approaching secondment and PE

How the tax market thinks the BEPS Action Plan will impact transfer pricing

Why India’s draft safe harbour rules may need work before gaining popularity with taxpayers

OECD questions the reality of implementing country-by-country reporting

Germany issues draft regulation for the profit attribution to permanent establishments

How to choose the right supply chain restructuring model



more across site & shared bottom lb ros

More from across our site

An OECD report has uncovered a lack of public trust in politicians as a source for tax information. Banning them from owning shares in companies could boost confidence
‘We did not expect to carve out big economies from the minimum tax system’, Estonia’s finance minister said; in other news, Blick Rothenberg has acquired The Vat Consultancy
The proposal seeks to regulate compulsory TP documentation in line with the OECD Transfer Pricing Guidelines and simplify filing requirements
Despite the decline in profitability, the firm’s tax advisory business delivered a 3.4% revenue growth
Firms are making use of inventories and ample profit margins to avoid or absorb the initial impact of higher tariffs, an OECD report said
While UN proposals to shift airline taxation from a residence-based system to a source-state one are not set in stone, ex-British Airways CEO Willie Walsh warns they would increase costs and complexity
Von Wobeser y Sierra’s head of tax shares best practices for resolving tax controversy and touts his firm’s founding partner as an exemplar of legal practice
ITR concludes its analysis of World Tax’s rankings for 2026 by highlighting the firms that stood out most on a global scale
Experts from law firm Kennedys outline the key tax disputes trends set to define 2026, ranging from increased enforcement to continued tariff drama and AI usage
They also warned against an ‘unnecessary duplication of efforts’ in UN tax convention negotiations; in other news, White & Case has hired Freshfields’ former French tax head
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