Czech Republic
The case shows that legal relationships between parties bear significance and should be given sufficient weight in TP analyses, one local adviser says
The ruling underscores that tax authorities must provide ‘detailed, well-supported, and logically sound justifications’ when determining reference prices in tax assessments, one expert told ITR
ITR is delighted to reveal all the shortlisted firms, teams, and practitioners – winners to be announced on September 15
Sponsored
Sponsored
-
Sponsored by EY Asia-PacificTracey Kuuskoski, Gavin Shanhun and Kevin Zhou of EY consider how the indirect tax landscape continues to evolve across the Asia-Pacific region (APAC), and look ahead for what to expect beyond 2020.
-
Sponsored by EY Asia-PacificAdrian Ball of EY looks at how customs authorities and companies are addressing the issue of end-of-year transfer pricing (TP) adjustments, and how companies should address this with customs authorities across the Asia-Pacific region.
-
Sponsored by EY Asia-PacificDarren Gibson of EY explores five themes that all organisations facing challenges from COVID-19 must manage to defend their human resources.
Article list (load more 4 col) current tags