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  • Bob Alltop and Mark Bronson of Ballentine Barbera discuss the implications of the IRS' Coordinated Issue Paper on cost-sharing buy-ins
  • By Catherine Snowdon, Americas correspondent
  • Tax authorities in Latin America are developing more intrusive regulatory regimes by introducing stricter rules and promoting tougher legislation. Catherine Snowdon finds out from the most admired tax directors in the region about how they cope.
  • Japanese regulators are grappling with transfer pricing rules for intangible property. Karl Gruendel of Shin Nihon Ernst & Young, explains what the outcome will be
  • Welcome to International Tax Review's guide to intellectual property for 2007. Tax practice is developing all the time. The main influence for this is the increasing sophistication of officials at tax authorities around the world. As they build on their knowledge about different strategies and techniques, they are pressing taxpayers to come up with more and more evidence about their transactions, and more and more justification for the approaches used. When the planning and structuring concerns intellectual property, this pressure can be intense.
  • If applied based on sound economic principles, contribution analyses are powerful tools to address the bulk of most complex transfer pricing issues, explain Sébastien Gonnet & Pim Fris of NERA Economic Consulting
  • Key government inquiry identifies significant weaknesses in TP policy
  • In the first of a series, Carol Todd of KPMG New Zealand, looks at customs valuation in her home country
  • A new agreement finalised yesterday seeks to put an end to money laundering in Fiji by international companies abusing TP rules
  • Transfer pricing work is cited as a key reason for a major growth in KPMG International’s tax practice