Dispute Resolution

The Arm’s Length Principle in Transfer Pricing

Learn about the Arm’s Length Principle in Transfer Pricing, its importance, methods, and why consulting experts like TRM is crucial for compliance and risk management.

The Arm’s Length Principle in Transfer Pricing Read More »

Understanding the Burden of Proof in Transfer Pricing: Insights from Recent Court Cases

Explore the critical role of the burden of proof in transfer pricing through analysis of recent Dutch, Czech, and Italian court cases.

Understanding the Burden of Proof in Transfer Pricing: Insights from Recent Court Cases Read More »

Netherlands vs “Lux Credit B.V. – Ruling on Arm’s Length Principle in Intra-Group Financing Case

Analysis of Dutch court ruling on arm’s length principle in intra-group financing. Key insights for multinationals on transfer pricing and tax risk management.

Netherlands vs “Lux Credit B.V. – Ruling on Arm’s Length Principle in Intra-Group Financing Case Read More »

The Importance of Thorough Economic Analysis in Transfer Pricing

Discover why thorough economic analysis in transfer pricing is essential for compliance and profit optimization. Learn how experts like TRM can help.

The Importance of Thorough Economic Analysis in Transfer Pricing Read More »

Czech Transfer Pricing Case Highlights Importance of Burden of Proof

Analysis of the ERT Automotive Bohemia case emphasizses the critical role of the burden of proof in transfer pricing disputes and its implications for multinationals.

Czech Transfer Pricing Case Highlights Importance of Burden of Proof Read More »

Czech Transfer Pricing Case: ERT Automotive Bohemia Wins Appeal Against Tax Authorities

Analysis of the Czech transfer pricing case where ERT Automotive Bohemia won against tax authorities, highlighting key issues and implications for multinationals.

Czech Transfer Pricing Case: ERT Automotive Bohemia Wins Appeal Against Tax Authorities Read More »

Poulter vs SARS: Taxpayer’s Right to Non-Legal Representation

In the landmark case of Poulter v CSars the Western Cape High Court clarified an essential aspect of taxpayers’ rights in South Africa. This case revolved around whether a taxpayer can be represented by a non-legal practitioner in the Tax Court, significantly impacting how taxpayers can defend themselves in tax-related disputes.

Poulter vs SARS: Taxpayer’s Right to Non-Legal Representation Read More »

How to Prepare a Tax Controversy Roadmap for MNE’s

Learn how to create an effective tax controversy roadmap for multinational enterprises to navigate potential tax disputes and exposures efficiently.

How to Prepare a Tax Controversy Roadmap for MNE’s Read More »

CUP vs TNMM in Italy vs DG: A Transfer Pricing Method Analysis

Analyze the Italy vs DG transfer pricing case, comparing CUP and TNMM methods from tax authority and taxpayer perspectives. Insights from Prof. Dr. Erasmus.

CUP vs TNMM in Italy vs DG: A Transfer Pricing Method Analysis Read More »

Transfer Pricing Case Analysis: Italy vs Dolce & Gabbana

The Italy vs DG transfer pricing case is a significant ruling that has far-reaching implications for multinational enterprises and tax authorities worldwide. This in-depth analysis examines the key aspects of the judgment, its impact on transfer pricing practices, and the importance of proactive tax risk management.

Transfer Pricing Case Analysis: Italy vs Dolce & Gabbana Read More »