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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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  • Taxpayers need to make a careful assessment of the best European jurisdiction for a central IP company, as the different regimes have their own features, explain Wim Eynatten and André Schaffers of Deloitte.
  • Chris Hutley-Hurst and Jonathon Egerton-Peters, of Skadden, Arps, Slate, Meagher & Flom (UK), discuss the legality of the EU financial transaction tax (FTT) and explain how taxpayers or member states may seek to challenge it.
  • Heather Gething of Herbert Smith Freehills, and Andrew Silverman of McCarthy Tétrault, look at the operation of the general anti-avoidance rules (GAAR) in the UK and Canada, the reason for their introduction, and how they have been and are likely to be applied.

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