Transfer Pricing

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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The Importance of Pillar One’s Amount B

The recent document on Pillar One’s Amount B offers a critical insight into the evolving landscape of global tax regulations, highlighting its significance for international tax practitioners and academics.

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The TPA Transfer Pricing Global Documentation Handbook

The “TPA: Transfer Pricing Global Documentation Handbook – December 2023” is a comprehensive guide for multinational companies navigating the complexities of transfer pricing documentation in compliance with global tax regulations. The handbook emphasizes the importance of consistency across essential documents such as Corporate Income TaxTax returns, Master Files, Local Transfer Pricing Files, Country-by-Country reports, and more, to avoid common pitfalls like inconsistent treatment of intercompany transactions and discrepancies between commercial and tax books.

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BOOK UPDATE: “CONDUCTING A TP TRIAL” – CHAPTER 1 NOW AVAILABLE

Having prepared and argued at numerous Transfer Pricing trials, I thought it a good idea to commit my journey and experiences to paper as a guide to others about to travel this path in a tumultuous world where revenue authorities are looking to maximize their tax collections.

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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

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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.

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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.

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