Germany

Germany vs “MEAT PE”: Taxation of the Domestic Permanent Establishment of a Hungarian Corporation

This case examines the taxation of the domestic permanent establishment of a Hungarian corporation operating in Germany. The central issue revolves around the adjustment of profits under Section 1(5) of the Foreign Tax Act (AStG), specifically how the relationship between the Hungarian corporation and its German branch was treated for tax purposes.

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Germany vs “Z Pipeline”: Transfer Pricing Disputes in Multinational Operations

The FG Düsseldorf judgment of May 12, 2023, revolves around the transfer pricing dispute of a multinational enterprise operating a pipeline network across Germany, Belgium, and the Netherlands. The court found that the defendant’s method of profit allocation did not align with the arm’s length principle and violated the existing double taxation treaties.

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Zimmer Ltd. vs. Germany (2018): Implications for International Taxation and Transfer Pricing

Explore our detailed analysis of the Zimmer Ltd. vs. Germany (2018) case. Learn how this ECJ judgment impacts the definition of Permanent Establishment and international tax compliance.

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