Romania

  • EU court rules Romania can impute interest on intercompany loans, but what should the rate be? – click here
  • Comparison between the three types of tax facilities currently available (RO) – click here

 Europe & Global

  • US IRS announces plans to limit the use of “telescoping” in APA and MAP cases  – click here
  • Canada Revenue appeals long-running transfer pricing dispute loss to Supreme Court – click here
  • Mexico’s initial reporting due date for MDR obligations is fast approaching – click here
  • Colombia clarifies commodities registration rules for transfer pricing as deadlines approach – click here
  • Chile’s IRS establishes new transfer pricing documentation requirements – click here
  • Philippines clarifies certain issues related to filing of transfer pricing information return – click here
  • India retains transfer pricing tolerance range for 2019–20 – click here
  • Making tax dispute resolution more effective: New peer review assessments for Czech Republic, Denmark, Finland, Korea, Norway, Poland, Singapore and Spain  – click here

DAC 6

  • Finland reconsider XML filing for DAC6 reports – click here
  • DAC6 in Germany: Partial reporting just got even more complicated – click here
  • For the latest developments and news concerning DAC6 – click here

Webinars

  • GTC Virtual Conference 2020 - How to deal with extreme tax authorities positions - 17th November 2020 – 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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