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India’s transfer pricing overhaul expands safe harbours at scale and accelerates advance pricing agreements alongside the statutory recodification of the Income-tax Act, report Uday Ved, Hetav Vasani, and Jainesh Nahar of KNAV
May 15, 2026
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  • Victor Adegite of KPMG Nigeria looks at the advance pricing agreement (APA) option as a tool taxpayers can use as part of their transfer pricing risk management, highlighting the benefits of different types of APA and looking at how APA programmes operate in other jurisdictions.
  • Michael Patton, of DLA Piper (US), runs through the OECD BEPS action plan in terms of how it is being received by multinationals.
  • In the UK there is a great deal of interest in the G20 and OECD’s BEPS project and the changes this may bring. Wendy Nicholls and Liz Hughes of Grant Thornton UK LLP describe how the new initiative will impact the UK transfer pricing landscape.

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