This content is from: Japan Japanese companies fear the rise of the profit split method As Japan moves towards a new transfer pricing (TP) regime, companies fear the increasing use of the profit split method could erode the arm’s-length principle (ALP). By Josh White January 31 2019
This content is from: Europe Not another tax department transformation One of the principal subjects of discussion and analysis in tax in recent months is digitalisation. I am not only talking about the OECD, EU and unilateral proposals to address the taxation of the digital, or digitali... By Contributed January 28 2019
This content is from: Global Financial institutions adapt to tax transparency Tax transparency initiatives such as the CRS, AEOI and FATCA, and the upcoming mandatory disclosure rules, are having a profound impact on the operations and IT infrastructure of financial institutions (FIs) worldwide... By Contributed January 28 2019
This content is from: Global The battle for resources: Making the case for tax departments The rate of change in the tax regulatory environment in recent years has been rapid, arguably more so than at any other time in recent history. Heads of tax are competing with colleagues in other functions for a share... January 28 2019
This content is from: United States Japan's TP proposals to hit IP assets Japan’s proposals to reform its transfer pricing (TP) rules are likely to hit Japanese companies with domestic IP assets much harder than foreign multinationals operating in the country, warn tax directors. By Alexander Hartley & Josh White January 09 2019
This content is from: United States What the G20 should know about international cryptocurrency tax policy International cryptocurrency tax policy can achieve trust if it is done correctly, writes Michael Minihan, partner at BX3 Capital. By Contributed January 07 2019