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Expert Analysis

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Transfer Pricing
Multinationals face rising TP scrutiny as global rules diverge. As Daniel Moalusi argues, strong, consistent documentation is now essential to minimise audit risk and protect tax positions
February 26, 2026
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  • In the March edition of the magazine, Johann Muller, a member of the Danish Competent Authority for transfer pricing (TP), wrote about the issues that need to be addressed when looking at examples 1 and 2 to Annex C of the OECD Base Erosion and Profit Shifting (BEPS) report. Now, he proposes a simplified transfer pricing documentation process for vertically integrated multinational enterprises (MNEs). Both articles are written on a personal level and do not reflect the views of the Danish government.
  • All of Europe’s leading advisers were present at the Dorchester hotel in London on May 15 for the ninth annual European Tax Awards dinner.
  • Lesley Holstead, former tax controversy and transfer pricing strategist for a large multinational company, offers a simplified guide to some of the interlocking issues that led to the BEPS review.

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