Transfer Pricing

Bechan vs SARS: Search and Seizure Powers of Revenue Authorities

The case of Bechan and Another v SARS Customs Investigations Unit and Others was heard by the Supreme Court of Appeal (SCA) of South Africa, where Mr. Kapeel Bechan, alongside his company, Bechan Consulting (Pty) Ltd, sought to reclaim property seized by SARS officials during a search warrant operation targeting Bullion Star (Pty) Ltd.

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Australia vs SNF: In-Depth Summary

The case Commissioner of Taxation v. SNF (Australia) Pty Ltd concerned a dispute over the application of the arm’s length principle in the context of transfer pricing regulations under Australia’s Income TaxTax Assessment Act 1936 (ITAA 1936)

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Australia vs SingTel Transfer Pricing Case

The High Court of Australia deliberated on a significant transfer pricing case between Singapore Telecom Australia Investments Pty Ltd (STAI) and the Commissioner of Taxation, centering on whether a parental guarantee should be implied in assessing the arm’s length nature of intercompany loans.

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Intra-Group Services: Guidelines, Examples, and Risk Management Strategies

Intra-Group Services are an essential aspect of international taxation, and managing them properly can mean the difference between compliance and costly disputes for multinational enterprises (MNEs).

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The Thistle Trust vs C. South African Revenue Service: Understanding the Conduit Principle in Multi-Tiered Trusts

In the landmark case of The Thistle Trust v Commissioner for the South African Revenue Service, the Constitutional Court of South Africa was tasked with examining the application of the conduit principle in the taxation of trusts, particularly focusing on how capital gains are treated within a multi-tiered trust structure.

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Canada vs Thompson: Exploring the Limits of Solicitor-Client Privilege in Tax Enforcement

In Canada (National Revenue) v. Thompson, the Supreme Court of Canada evaluated the boundary between solicitor-client privilege and the statutory obligations imposed on lawyers under the Income Tax Act (ITA).

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F SCS vs LUXEMBOURG: Safeguarding Lawyer-Client Confidentiality in Cross-Border Tax Inquiries

This case focuses on whether the Netherlands’ national tax law, which restricts the deduction of interest paid on intra-group loans in certain scenarios, is compatible with the freedom of establishment under Article 49 TFEU.

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ENGIE vs EU: State Aid Decision in the EU’s Effort to Combat Selective Tax Advantages

This case involves the European Commission’s ruling that Luxembourg’s tax rulings for ENGIE constituted unlawful state aid, creating tax advantages that contravened the competitive balance required under EU law.

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Emerging Transfer Pricing Trends in Africa: Insights from Dr. Daniel Erasmus at the 13th Annual Africa TP Summit

In this insightful address at the 13th Annual Africa Transfer Pricing Summit, Dr. Daniel N Erasmus explores the most pressing trends in transfer pricing across Africa and developing regions.

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Understanding the Comparable Profit Method (CPM) in Transfer Pricing

The Comparable Profit Method (CPM) is a widely used approach in transfer pricing, employed to ensure that transactions between related entities (often within multinational enterprises) align with the arm’s length principle.

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