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Transfer Pricing Week is a weekly online newsletter providing tax directors, tax advisers, and government representatives, analysis and articles on Transfer Pricing legislation, revenue authorities, rulings and people moves. | |
Keywords : , Transfer Pricing, Regulation, Double taxation treaties, Transfer pricing audits, Corporate tax, International Tax, tax authority, tax authorities, tax regulator, Revenue authorties, Rulings, People moves, TP, legislation, panels, Transfer pricing news, TP news, TP analys | |
H1 tags : Home Page; Other Services; SURVEY; LATEST NEWS; Alberta Printed Circuits to be OECD example; Reed Elsevier explains its practical issues with IP; UK unveils draft legislation on patent box; What the US and Canada don’t want you to know about arbitration; How the UN will use arbitration to improve MAP; Choosing the profit level indicator in transfer pricing; Indonesia updates it transfer pricing regime; Michelle Levac expresses concerns over intangibles project; Dell wins final Norwegian PE battle; How the introduction of “Soviet-style economic planning” could affect transfer pricing; Mexican revenue reveals more transfer pricing guidance on the way; Petra Foods expects victory against Indonesian authorities; ANALYSIS; PEOPLE; REGULATION; CASE STUDY; TP DOCUMENTATION GUIDES; TP DOUBLE TAX TREATIES GUIDES; TP AUDIT GUIDES | |
H2 tags : Sections; Regions; Subscriptions; Taxpayers criticise Chinese regulations; Freight, insurance and import duties: How taxpayer triumphed against authorities; Three ways Australia’s MRRT will shake up transfer pricing; Why it is wrong to define intangibles as something of value; Twitter lines nest with Ireland’s tax and transfer pricing regime; Werner Stuffer joins Ernst & Young; New hire for WTP; Tatton stands down at HMRC; Baker Tilly appoints new transfer pricing specialist; Bingham hire Kirschenbaum and Williams; ELP boosts TP practice; How to approach an advance tax agreement when no formal process exists; Regulatory challenges faced by financial services transfer pricing managers; How Japanese and Australian authorities “are defeating purpose of APA”; Replacement of Australian schedule 25a form means more compliance; HMRC updates to real-time working of issues will reduce administrative burdens; US Customs’ reconsideration of post-import adjustments may prove impossible; Inland Revenue confuses with approach to related-party transaction; How Irish insurance firm profits are taxable for Dutch shareholders; Where do we stand on comparables after ITAT ruling in CRM Services?; ITAT ruling provides comparables rejection criteria; Indian Revenue opportunism rules out multiple year data; Irish transfer pricing documentation guide; Ecuador transfer pricing documentation guide; Canada transfer pricing documentation guide; China and Hong Kong transfer pricing documentation guide; Germany transfer pricing documentation checklist; Japan transfer pricing documentation guide; Egypt – Transfer Pricing Documentation Requirements; Singapore transfer pricing documentation guide; South Korea transfer pricing documentation guide; Argentina transfer pricing documentation guide; Double tax treaties and transfer pricing in Poland; Double tax treaties and transfer pricing in Ecuador; Double tax treaties and transfer pricing in Brazil; Double tax treaties and transfer pricing in Peru; Double tax treaties and transfer pricing in India; How to survive a transfer pricing audit in India; How to survive a transfer pricing audit in Malta; How to survive a transfer pricing audit in the Czech Republic; How to survive a transfer pricing audit in China; How to survive a transfer pricing audit in Poland |
Last Update : | 13/December/2011 |
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