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The Transfer Pricing Law Review


Since the financial crisis in 2008, there has been continuous public attention on multinationals' tax position - which, for the most part, turns on their transfer pricing policy and whether this properly aligns the taxable profits in each country with the value-generating activities taking place there.

This publication aims to give readers a high-level overview of the principal transfer pricing rules in each country covered. Each chapter summaries the substantive transfer pricing rules, explains how a transfer pricing dispute is handled, from initial scrutiny through to litigation or settlement, and discussed the interaction between transfer pricing and other parts of the tax code.
Steve Edge - Personal Name
Dominic Robertson - Personal Name
24 TRA ste 1
978-1-910813-38-6
24 TRA ste 1
Book
English
Law Business Research Ltd
2017
London
vi, 213 25cm
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