International

Landmark Transfer Pricing Case from South Africa

TRM Tax Attorneys secures landmark victory in South Africa’s first transfer pricing case, demonstrating expertise in resolving complex tax disputes. Learn how Prof Dr Daniel N Erasmus and his team can assist you.

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X BV v Netherlands (Staatssecretaris van Financiën Case)

The X BV v Staatssecretaris van Financiën case revolves around a key issue in corporate tax: the denial of interest deductions for intra-group loans in cross-border transactions.

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South Africa’s First Transfer Pricing Case

Explore how TRM’s expertise in transfer pricing challenges in South Africa helped ABD Limited win against SARS, offering insights for multinationals.

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ABD Limited vs. SARS Transfer Pricing Dispute Judgment

Explore the critical analysis of the transfer pricing dispute judgment between ABD Limited and SARS, focusing on IP royalties and tax implications.

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The Journey of a Single Data Point: Cross-Process TP Automation in Workiva

As Tax/TP practitioners, we are always looking to build synergies across processes, harmonizing our calculation and reporting flows. Aiming to create a “Single Source of Truth” solution for all our Tax/TP needs. We all feel and understand the pressure we are under to comply with the ever-increasing tax reporting burden. Fragmented, over-engineered, do we need to say more!

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Understanding Zambian Transfer Pricing: Insights and Compliance Strategies

Explore the intricacies of Zambian Transfer Pricing, including compliance obligations and strategic insights for navigating these regulations effectively.

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DID YOU MISS THE CONDUCTING A TRANSFER PRICING TRIAL WORKSHOP?

Learn how to best CONDUCT A TRANSFER PRICING TRIAL with leading experts Prof. Dr. Daniel N Erasmus and Mr. Renier van Rensburg from Middlesex University and The Academy of Tax Law.

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SOUTH AFRICA: The Impact of Global Minimum Corporate Tax on Multinationals

Explore the implications of the new global minimum corporate tax for multinational corporations, including both challenges and opportunities.

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Article 26 of the OECD Model Tax Convention Update 2024

The recent approval by the OECD Council of the OECD Model Tax Convention Update 2024 marks a pivotal moment for international tax practitioners and multinational organizations

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