Transfer Pricing

13th Annual SAIT Transfer Pricing Summit 2024: Key Topics and Insights

The 13th SAIT (South African Institute for Taxation) Transfer Pricing Summit 2024 is set to be a pivotal event for tax professionals and policymakers across the continent. This summit will address critical issues in transfer pricing, an increasingly significant field in South Africa and Africa’s economic landscape.

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What is a Permanent Establishment, and How is Its Significance in Transfer Pricing?

A Permanent Establishment (PE) refers to a fixed place of business through which a foreign enterprise conducts business in another country. In the context of transfer pricing, a PE plays a crucial role as it determines the taxation rights of a country over the profits of a foreign enterprise.

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The Italian Supreme Court’s Landmark Ruling on Loss-Making Entities: My Take

In August 2024, the Italian Supreme Court delivered a pivotal ruling on transfer pricing, specifically addressing the inclusion of loss-making entities in comparability analyses. This ruling could hopefully show a significant shift in how transfer pricing is approached, emphasizing a more comprehensive and accurate reflection of market realities.

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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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Italian Supreme Court Ruling on Transfer Pricing: Inclusion of Loss-Making Entities in Comparability Analyses

The Italian Supreme Court’s 2024 ruling mandates including loss-making entities in transfer pricing comparability analysis, aligning with OECD guidelines.

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Transfer Pricing and Profit Attribution to Permanent Establishments: Insights from Recent Cases

In the increasingly complex landscape of international taxation, Transfer Pricing and Profit Attribution to Permanent Establishments (PEs) have emerged as critical issues. The intricacies involved in appropriately allocating profits to PEs, especially in cross-border scenarios, continue to challenge multinational corporations and tax authorities alike.

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Dr. Daniel N Erasmus to Address Key Transfer Pricing Challenges at Africa 2024 Conference

Dr. Daniel N Erasmus, a leading expert in international tax law and transfer pricing, will be a key speaker at the upcoming Online Transfer Pricing Conference Africa 2024.

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Announcement: Online Transfer Pricing Conference Focused on Africa

The Academy of Tax Law is excited to announce an online Transfer Pricing Conference specifically emphasising Africa. This event will take place in November 2024 and will delve into global transfer pricing issues.

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Exchange of information on reportable cross-border tax arrangements: CJEU Judgment in Case C-623/22

The judgment in the case C-623/22, issued by the Court of Justice of the European Union (CJEU) on July 29, 2024, primarily addressed the validity of certain provisions of Directive 2011/16/EU as amended by Directive 2018/822, concerning the mandatory automatic exchange of information on reportable cross-border tax arrangements.

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Optimised Transfer Pricing Compliance: UNs End-to-End Toolkit

The Transfer Pricing Compliance Assurance – An End-to-End Toolkit developed by the United Nations Subcommittee on Transfer Pricing is a comprehensive guide designed to support tax administrations, particularly in developing countries, in ensuring efficient and effective transfer pricing compliance.

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