The management of intangible assets is challenged by transfer pricing controls: a question of legal ownership and economic ownership
The annual transfer pricing return (form 2257-SD) must be submitted electronically within six months following the corporate income tax return filing deadline.
Transfer pricing litigation has not escaped the trend in recent years towards the penalisation of tax law.
The annual transfer pricing return (form 2257-SD) must be submitted electronically within six months following the corporate income tax return filing deadline.
Transfer pricing: identify your documentary and declarative obligations
Finance Act 2024 Transfer pricing
Public country by country declaration reporting
What is the annual transfer pricing declaration 2257-SD?
To ensure that transfer pricing documentation complies with this requirement of reconciliation with your company’s accounting records, read on.
Ensure that your transfer pricing policy complies with the arm’s length principle.
Find out the specifics of the transfer pricing policy statement 2257-SD
Find out the main features of the new Directive introducing country-by-country reporting (CbCR).