tpa_webb.jpg
Noticias
Port Study 2009 - White Paper on Competitiveness Europe and Middle East PDF Imprimir E-Mail
tpa_pressrel.jpgAmsterdam, October 2009 - In this new book release Transfer Pricing Associates and Investment Consulting Associates assess the competitiveness of European and Middle Eastern ports – through a Port Competitiveness Index (PCI). The approach taken is unique as they integrate multiple aspects of competitiveness: tax, transfer pricing, legal, customs and the general business environment. The PCI was developed using proprietary software: locationselector.com.
readmore1.png
 
Valuation requirements for transfer of shares, assets and liabilities in Europe PDF Imprimir E-Mail
tpa_publicats1.pngValuations is still an area that is relatively new for many European tax authorities. Currently there is no uniform approach as to how a valuation report should look. Tax authorities have either no specific guidelines or have recently introduced new regulations and/or guidelines.

p_rechts4.pngRead more (English version)
p_rechts4.pngRead more (Chinese version)

 
TPA Customs | Newsletter November 2009 PDF Imprimir E-Mail
tpa_publicats1.pngAmsterdam, October 2009 - In this Newsletter our Customs professionals inform you about 'Report on EU Customs Enforcement of Intellectual Property Rights' and 'Protectionism, Trade Disputes and Economic crisis'.
readmore1.png
 
Transfer Pricing Associates Forges Strategic Alliance with Richter Consulting, Inc. in Canada PDF Imprimir E-Mail
tpa_pressrel.jpgAmsterdam, October 2009 - Transfer Pricing Associates, the leading independent provider of global transfer pricing and valuation services, is proud to announce that it has established a strategic alliance with Richter Consulting, Inc. which is a member of the Richter Group, a full-service business advisory firm, founded in 1926, with over 40 Partners and 400 professionals, which provide a full range of consulting services. 
readmore1.png
 
Valuation requirements for transfers of shares, assets and liabilities in Europe PDF Imprimir E-Mail
tpa_publicats1.png As a general rule all European tax authorities require that transfer of shares, assets and liabilities within a multinational group are conducted at arm’s
length. This means that an inter-company transfer should be made at the same price and terms as it would have been had the parties not been related to each other.

p_rechts4.pngRead more (English version)
p_rechts4.pngRead more (Chinese version)

 
<< Inicio < Anterior 1 2 3 4 5 6 7 8 9 10 Siguiente > Final >>

Resultados 33 - 40 de 86