Offering practical advice and strategies, illustrated by real case studies, the author explains the key aspects and technicalities of US transfer pricing and the impact of international issues, including such aspects of the subject as the following:
- . types of transfer pricing methods and pricing agreements among subsidiaries and affiliates;
- . cost-sharing arrangements;
- . services transactions;
- . European Union tax treatment of US-based multinationals;
- . Organisation for Economic Co-operation and Development's Transfer Pricing Guidelines and Base Erosion and Profits Shifting initiative;
- . companies' preparedness for country-by-country reporting;
- . intellectual property migration; and
- . documentation and penalties.
This concise, practical guide to the latest issues in the rapidly evolving legal regime on transfer pricing in the US context fills the need to gain a firm grasp of transfer pricing rules and practice for corporate counsel and practitioners worldwide, enabling them to prepare compliant solutions and strategies and avoid pitfalls. It will also be very useful to state tax authorities.
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