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Valuation requirements for transfers of shares, assets and liabilities in Europe
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.

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Transfer Pricing Associates Forges Alliance with Harsono Hermanto Strategic Consulting in Indonesia
Jakartpa_pressrel.jpgta, October 2009 - Transfer Pricing Associates, the leading independent provider of global transfer pricing and valuation services, is proud to announce that it has entered into an alliance with Harsono Hermanto Strategic Consulting (HHSC), widely recognised as one of the leading business and tax advisory firms in Indonesia.
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Transfer Pricing Associates Forges Strategic Alliance with Transfer Pricing Services in Romania
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 Transfer Pricing Services (www.transferpricing.ro), the first Romanian independent advisory firm offering highly specialized transfer pricing consultancy.
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Transfer Pricing Associates has published ‘A Practical Guide to APAs’
tpa_pressrel.jpg Amsterdam, September 2009 – Transfer Pricing Associates, the leading provider of transfer pricing services, has published ‘A Practical Guide to APAs’. This book introduces a pan-European APA applications standardized approach. The standard is based on the recent views shared by the EU Joint Transfer Pricing Forum addressing the need to establish common denominators for pan-European APAs.
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Transfer Pricing Training Course for CCH's clients
tpa_publicats1.png Shanghai - On 11-13th November 2009 a transfer pricing Training Course for CCH's clients will be held in Shanghai. Subject of this event will be 'Transfer Pricing in China' and various topics will be discussed, amongst which are: 'Transfer pricing Development and Transfer Pricing Taxation System in China', 'Transfer Pricing Documentation and Thin Capitalization' and 'Advance Pricing Agreements and Cost Sharing Arrangements'.

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Significant Additional Documentation Requirements for Multinationals in China
tpa_pressrel.jpg Shanghai, July 2009 - Transfer Pricing Associates, the leading independent provider of global transfer pricing and valuation services, advises that on 6 July 2009 the State Administration of Taxation (SAT) released an important new regulation on transfer pricing documentation requirements for multinationals operating in China: Circular [2009] 363 (or Guo Shui Han [2009] 363) “The Notice on strengthening the monitoring and investigation of cross-border related party transactions”.
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