Taxes

GTC Conference 2023

I/I/T/F Head of Academic Development, Prof Dr Daniel N. Erasmus was in attendance at the event and delivered a key-note presentation on:

TRANSFER PRICING – THE NOOSE TIGHTENS FURTHER

GTC Conference 2023 Read More »

Emerging Trends in Transfer Pricing

Transfer pricing (TP) disputes have always posed challenges to multinational enterprises (MNEs) and tax authorities. The interpretation and implementation of arm’s length principles, the backbone of TP regulations, have led to an increasing number of TP disputes across the globe. This article considers emerging trends, emphasising the critical role of TP expert witnesses in any TP dispute.

Emerging Trends in Transfer Pricing Read More »

Apple vs. European Commission

This case revolves around the European Commission’s appeal against the General Court’s decision to annul the Commission’s ruling that Ireland granted Apple unlawful state aid through favourable tax rulings.

Apple vs. European Commission Read More »

TPMinds Africa: 07 – 08 November 2023

I/I/T/F Head of Academic Development, Prof Dr Daniel N. Erasmus was in attendance at the event and delivered a key-note presentation on:

HOW TO PREPARE FOR A TRANSFER PRICING TRIAL WITH YOUR EXPERTS.

TPMinds Africa: 07 – 08 November 2023 Read More »

Stora Enso Wood Products vs Czechia

The Supreme Administrative Court (SACC) of the Czech Republic annulled the judgment of the Regional Court in Hradec Králové, which had previously annulled the tax assessment decision of the Odvolací finanční ředitelství against Stora Enso Wood Products Ždírec s.r.o.

Stora Enso Wood Products vs Czechia Read More »

Boston Scientific v. CIT (India): Permanent Establishment and TP Implications

This case, heard by the Indian courts, raises significant issues concerning the activities that constitute a PE, especially in relation to multinational enterprises (MNEs) operating through subsidiaries.

Boston Scientific v. CIT (India): Permanent Establishment and TP Implications Read More »

CEPSA’s Transfer Pricing Case: Spain vs Compañía Española de Petróleos (CEPSA)

The Supreme Court ruled on the tax dispute between the Spanish tax authorities and CEPSA concerning the allocation of general management and administration expenses to CEPSA’s Permanent Establishment (PE) in Algeria.

CEPSA’s Transfer Pricing Case: Spain vs Compañía Española de Petróleos (CEPSA) Read More »

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.

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

ST Dupont vs. France Transfer Pricing Judgment

ST Dupont, a French luxury manufacturer, contested additional tax assessments and penalties imposed by the French tax authorities for the financial years 2009 to 2011. The authorities argued that ST Dupont had transferred profits to its subsidiary in Hong Kong by selling products at lower-than-arm’s-length prices.

ST Dupont vs. France Transfer Pricing Judgment Read More »