Europe

  • Moldova: Amendments to transfer pricing documentation rules – click here;
  • Germany: Updated guidance on mutual agreement and arbitration procedures – click here;
  • The Netherlands: Expanded mandate of transfer pricing coordination group – click here;
  • Malta: Updated Automatic Exchange of Financial Account Information (AEOI) guidance – click here;

Global

  • Global: The guarantee trap - a common TP mistake you can avoid – click here;
  • Global: MAP monday newsletter - Edition 31: MEMAP 2026: Considerations for low-capacity jurisdictions and appendices – click here;
  • UN: 32nd Session of Committee of Experts on Tax Cooperation – click here;
  • Australia: The Australian Taxation Office (ATO) updates advice on Pillar Two rules – click here;
  • Benin: Benin signs Multilateral Agreement on Exchange of CbC Reports – click here;
  • Vietnam: APAs in Vietnam: How businesses can manage transfer pricing risks – click here;

TP Cases

  • Romania: A voluntary retroactive adjustment of transfer prices is not, in itself, abusive – click here;
  • Portugal: VAT implication: transfer price adjustments - Stellantis Portugal case – click here;
  • Spain: Transfer pricing trends in intragroup financing – click here;
  • USA: Deductive reasoning takes the cap off customs values: IRS clarifies the interaction of Sections 482 and 1059A in a tariff-laden world – click here;
  • USA: Coca-Cola’s $6 billion tax fight: how transfer pricing works – click here;
  • France: European Commission calls on France to remove restriction in breach of parent-subsidiary directive – click here;

Webinars

  • Webinar: ESG transformation and transfer pricing: strategic and operational implications - Joint webinar by TPA Global & UL Solutions, March 19 – click here;
  • Webinar: Navigating the first Pillar Two compliance cycle: Joint webinar by TPA Global & Tax Systems, April 14 – click here;

Romania

  • Romania: New tax adjustments in March 2026: Changes regarding the transfer of ownership interests, risk analysis, RO e-VAT, and excise duties – click here to read Emergency Ordinance no. 13 of 5 March 2026 and here and here for the articles;
  • Romania: NAFA's President, Adrian Nica, at the PwC 2026 Annual Tax Conference: The assessment of the tax inspection staff to date, with all maximum qualifiers, has no connection with reality – click here;
  • Romania: NAFA's President: We are not interested in conducting inspections on taxpayers who pay the highest taxes. We are interested in taxpayers at the bottom of the list – click here;
  • Romania: Some companies will be exempt from NAFA's inspections. The head of the institution announces that he wants to stop inspections of companies with low fiscal risk – click here;
  • Romania: PwC Annual Tax Conference 2026. What are the implications of the tax changes and what does the economic recovery package mean for companies? – click here;
  • Romania: Relevant changes for 2026 regarding tax inspections, with a focus on risk analysis – click here;
  • Romania: Romania consulting on draft form for DAC8 crypto-asset reporting – click here;
  • Romania: Fiscally inactive suppliers: what risks do you take when buying from them? – click here;
  • Romania: In 2025, NAFA recorded criminal damages of only RON 449 million, more than ten times less than in 2024 – click here.

 

Note: Please note that TPS could not be held responsible for the content and accuracy of the information obtained by accessing these websites, nor for the consequences resulted from any activities one performs based on this information. Even though we are monitoring the outbound links, we do not have control over the availability of the information offered by external references or how often the information is updated.

Contacts

email: letstalk@transferpricing.global 

phone: 0040 742 159 142

 

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