Normal view MARC view ISBD view

The interplay between transfer pricing and customs valuation in case of retroactive profit adjustments : the position of the ECJ in the Case Hamamatsu Photonics Deutschland Gmbh (C-529/16) Enrico De Angelis and Theo Elshof

By: De Angelis, Enrico.
Contributor(s): Elshof, Theo.
Material type: ArticleArticlePublisher: 2018Subject(s): VALOR EN ADUANAS | METODOLOGÍA | PRECIOS DE TRANSFERENCIA | UNION EUROPEA | TRIBUNAL DE JUSTICIA DE LAS COMUNIDADES EUROPEAS | JURISPRUDENCIA In: International Transfer Pricing Journal v. 25, n. 4, July/August 2018, p. 300-305Summary: This article discusses the position recently taken by the European Court of Justice (ECJ) regarding the impact on customs valuation of the goods of retroactive profit adjustments performed to bring the financial results of the tested party in line with arm's length results. The article considers issues such as the choice of customs valuation method in case of transfer pricing systems envisaging year-end adjustments, the impact of advance pricing agreements (APAs) on the customs value of the goods, the options available to taxpayers when navigating through the nuances of the interplay between transfer pricing and customs valuation methods.
Tags from this library: No tags from this library for this title. Log in to add tags.
    average rating: 0.0 (0 votes)
Item type Current location Home library Call number Status Date due Barcode
Recursos electrónicos IEF
IEF
ITPJ/2018/4-8 (Browse shelf) Available ITPJ/2018/4-8

Disponible únicamente en formato electrónico.

Resumen.

This article discusses the position recently taken by the European Court of Justice (ECJ) regarding the impact on customs valuation of the goods of retroactive profit adjustments performed to bring the financial results of the tested party in line with arm's length results. The article considers issues such as the choice of customs valuation method in case of transfer pricing systems envisaging year-end adjustments, the impact of advance pricing agreements (APAs) on the customs value of the goods, the options available to taxpayers when navigating through the nuances of the interplay between transfer pricing and customs valuation methods.

There are no comments for this item.

Log in to your account to post a comment.

Click on an image to view it in the image viewer

Powered by Koha