Italy

Italy v. Ilapak SPA Transfer Pricing Case

The Italy v. Ilapark SPA case brings forward critical issues in transfer pricing, specifically the appropriateness of the selected transfer pricing method for a business entity under Italy’s tax framework and its alignment with OECD guidelines.

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The Italian Supreme Court’s Landmark Ruling on Loss-Making Entities: My Take

In August 2024, the Italian Supreme Court delivered a pivotal ruling on transfer pricing, specifically addressing the inclusion of loss-making entities in comparability analyses. This ruling could hopefully show a significant shift in how transfer pricing is approached, emphasizing a more comprehensive and accurate reflection of market realities.

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Italian Supreme Court Ruling on Transfer Pricing: Inclusion of Loss-Making Entities in Comparability Analyses

The Italian Supreme Court’s 2024 ruling mandates including loss-making entities in transfer pricing comparability analysis, aligning with OECD guidelines.

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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.

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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.

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