Legal service advises withdrawal of EU transfer pricing proposal by Elodie Lamer
By: Lamer, Elodie
.
Material type: 




Item type | Current location | Home library | Call number | Status | Date due | Barcode |
---|---|---|---|---|---|---|
Artículos | IEF | IEF | OP 138-Bis/2024/116/2-4 (Browse shelf) | Available | OP 138-Bis/2024/116/2-4 |
Browsing IEF Shelves Close shelf browser
No cover image available | No cover image available | No cover image available | No cover image available | No cover image available | No cover image available | No cover image available | ||
OP 138-Bis/2024/116/2-1 The evolution of Brazil’s tax treatment of foreign trusts | OP 138-Bis/2024/116/2-2 Treatment of U.S. multinational IP transfers in a Pillar 2 world | OP 138-Bis/2024/116/2-3 Competent authority resolutions and the creation of BEAT liability | OP 138-Bis/2024/116/2-4 Legal service advises withdrawal of EU transfer pricing proposal | OP 138-Bis/2024/116/3 Tax Notes International | OP 138-Bis/2024/116/3-1 Don't ‘B’ left Behind | OP 138-Bis/2024/116/3-2 Proposed CAMT regs raise questions about viability of minimum tax regimes |
The EU Council legal service recently warned member states that the draft transfer pricing directive is getting in the way of an agreement on a nonbinding joint transfer pricing forum (JTPF). EU countries are due to discuss the European Commission's transfer pricing proposal October 9 at a meeting of the working party on tax questions. While the commission's proposed directive would have binding effect, member states are now discussing reintroducing a JTPF similar to one that was dissolved in 2019.
There are no comments for this item.