Multinational companies should review how they approach reducing transfer pricing (TP) risks as audits and arbitration cases rise. Taxpayers may find a 360-degree view could prevent tax disputes.
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Leanna covers transfer pricing developments and court rulings. She writes about jurisdictions' alignment with OECD standards, profit shifting via TP arrangements, and other topics including tax reforms across the world. Leanna also reports on anti-money laundering legislation and the BEPS project.