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Direct Tax
Trophy assets are evolving from personal indulgences to structured investments, prompting family offices to prioritise tax efficiency, governance discipline, and cross-border compliance
May 21, 2026
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  • Transfer pricing regulations and documentation requirements have been in effect for almost nine years, since the end of 2004, and the Taiwanese tax authorities have accumulated more and more experience and knowledge. Paulson Tseng of PwC gives an overview of the Taiwanese tax authorities’ comments on how taxpayers should prepare transfer pricing reports and discusses recent tax auditing practice.
  • Over the last couple of months, Chilean taxpayers have been subject to new transfer pricing compliance requirements, which have significantly changed their perception of the proper way to handle intercompany transactions. Roberto Carlos Rivas, Carolina Alexandres and Gabriel Bernal of PwC Chile explain how taxpayers can navigate through the changes.
  • There have been a number of important US developments in transfer pricing in the past 12 months. Kenneth Clark, Ronald Schrotenboer and David Forst of Fenwick & West provide a brief review and highlight a number of these developments.

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