Taxpayers have won less than a third of cases in Brazil’s Carf (conselho administrativo de recursos fiscais) courts since it reopened in December 2015, leading to expensive appeals.
The former assistant director of the advance pricing and mutual agreement programme at the IRS in the US has rejoined Baker and McKenzie as a director of economics.
The Australian Taxation Office (ATO) has released guidance on how multinationals could be considered for exemptions from submitting country-by-country reports in the jurisdiction.
A US Internal Revenue Service (IRS) investigation into Facebook could land the technology company with a bill that would have “material adverse impact” on the company’s finances.
Andrew Hickman, former head of the transfer pricing unit, left the OECD in June. In this exclusive interview, he discusses the trials and tribulations of BEPS and why there is never a good time to leave the OECD.
Taxpayers in India face uncertainty about how to account for advertising, marketing and promotion expenditure in transfer pricing, as the Supreme Court accepts the tax authority’s appeal on Amadeus India’s AMP arrangements.
The European commission’s anti-tax-avoidance package has been approved and a directive issued to EU member states to implement country-by-country reporting.
The Internal Revenue Service has shifted its attention to transfer pricing audits of smaller US companies that it may have previously ignored, tax experts warn.
TP Week embarks on a new series of features looking at up-and-coming jurisdictions for transfer pricing. This week, the Philippines is in the spotlight.
The Delhi Supreme Court will hear the Income Tax Department's (ITAT) appeal against the Bombay High Court’s rejection of an ITAT transfer pricing adjustment against Vodafone.