Taxand welcomed the opportunity to provide comments on the transfer pricing aspects of financial transactions, as laid out in the OECD’s public Discussion Draft released 3 July 2018.
Our thoughts are based on our experience in dealing with setting up general transfer pricing policies for cross-border financing, but also with tax audits and controversy in various jurisdictions where we have encountered differing approaches and results.
Discover more: Taxand TP service line response to the BEPS Actions 8-10
Authors include:
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