Many have responded to the OECD’s draft paper on financial transactions and transfer pricing (FTTP), but agreement on applying the arm’s-length principle to financial transactions is lacking, an insider told International Tax Review.
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Josh reports on transfer pricing, BEPS, tax disputes and other direct tax matters for ITR’s online and print audience. He covers a range of tax issues in these areas and how companies are dealing with them, as well as the influence of politics on tax developments.