Mining

Portugal vs A Mining SA: Transfer Pricing Case

The case concerns a tax dispute between A…, S.A., a Portuguese mining company, and AT – Tax and Customs Authority. At the heart of the issue was the sale of an industrial wash plant by A… to B…, S.A., at a symbolic price of €1. AT contended that the sale breached transfer pricing principles under Article 58 of the IRC Code.

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The OECD’s Transfer Pricing Framework for Mineral Pricing

Transfer pricing in the mineral sector is a complex yet crucial aspect of international tax compliance. The OECD has developed a comprehensive framework to assist tax administrations and multinational enterprises (MNEs) in determining the correct pricing for minerals in related-party transactions.

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Canada (Her Majesty the Queen) v. Cameco Corporation

The Federal Court of Appeal’s ruling in the case between Her Majesty The Queen and Cameco Corporation centers on the application of Canada’s transfer pricing rules, particularly under Section 247 of the Income Tax Act.

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