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The firm is now also accused of sharing information on the Australian government’s talks with the OECD on country-by-country reporting legislation.
ITR speaks to the Finnish tax authority and three companies about the new proof of concept, which is getting rave reviews
World leaders are preparing to negotiate carbon border adjustment mechanisms and other carbon pricing tools at the annual UN climate conference in Cairo.
Asia-Pacific tax directors tell ITR about the rise of aggressive audits in the region, putting it down to supply chain issues and advanced monitoring tools.
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    Increased globalisation has resulted in significant pressure on US multinationals to take a more global view not only of their operations but also of the manner in which they hold, manage, and develop intangible assets. As a result of these drivers, transferring intangible property (IP) out of the US group to a controlled foreign corporation (CFC) may make sense, explain David Cordova, Gretchen Sierra and Douglas Cowan.
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    Marco Fiaccadori, Arindam Mitra, and Robert Plunkett explain how to reconcile the licensor-licensee profit split approach with the income approach.
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    Since June 2008, when a broadened definition of low-tax jurisdictions (tax havens) was introduced by the authorities, taxpayers have been eagerly awaiting the enactment of an updated black list of tax haven jurisdictions for tax and transfer pricing purposes. The latest version of the black list was issued in August 2002.