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.

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