There are no guarantees for avoiding transfer pricing audits, but taking these steps will reduce your risk—and ensure you’re prepared if you are audited.
On June 5, 2021, the G-7 reached an agreement on OECD BEPS 2.0 Pillar One and Pillar Two initiatives, with promise to repeal Digital Services Taxes (DST).
The Biden Administration's US Corporate Income Tax Reform proposal was released May 28, 2021. The proposal impacts Transfer Pricing & International Tax.
Looking to learn more about the comparable profits method in transfer pricing? We'll break it down for you with a helpful overview and example.
OECD BEPS guidelines require maintenance of both master and local files for transfer pricing. Here are the requirements—and a plan to ensure compliance.