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Searching Content indexed under Transfer Pricing by Withers LLP ordered by Published Date Descending.
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Japanese 2016 Tax Reforms
Consistent with annual procedures, the Japanese government proposed Japanese tax reforms for 2016 last December.
Japan
19 Jul 2016
2
Paying No Interest On A Related-Party Loan
The Inland Revenue Authority of Singapore published the 3rd edition of its Transfer Pricing Guidelines on the second working day of the New Year.
Singapore
17 Feb 2016
3
Flexing Of The Arm's Length Principle In Australia: The Chevron Transfer Pricing Case
The Australian Taxation Office (ATO) has recently won a major transfer pricing victory in the decision of Chevron Australia Holdings Pty Ltd v Commissioner of Taxation (No 4) [2015] FCA 1092.
Australia
17 Feb 2016
4
OECD Issues Final Reports On BEPS
Big change is on the horizon regarding how taxpayers doing business around the world are to be taxed.
Worldwide
17 Feb 2016
5
Inflation Adjustments To Transfer Tax Provisions Provide New Opportunities In 2015
On October 30, 2014, the IRS announced in Rev. Proc. 2014-61 that there will be higher estate, gift, and generation-skipping transfer (GST) tax exemptions for tax year 2015 to account for inflation.
UK
22 Nov 2014
6
UKs New Administrative Regime for Treaty Relief in Respect of Corporate Interest Payments
Many cross-border payments of UK-source interest are subject to deduction of tax at source under UK domestic tax laws, although many non-UK recipients of such interest are eligible to have their potential UK tax liabilities removed or reduced under the terms of one of the UK's numerous double tax treaties.
UK
26 Sep 2010
7
UKs New Administrative Regime for Treaty Relief in Respect of Corporate Interest Payments
Many cross-border payments of UK-source interest are subject to deduction of tax at source under UK domestic tax laws, although many non-UK recipients of such interest are eligible to have their potential UK tax liabilities removed or reduced under the terms of one of the UK's numerous double tax treaties.
UK
22 Sep 2010
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