This contribution addresses the interaction of State aid law with transfer pricing rules. A number of high-profile investigations into transfer pricing arrangements approved by Member States’ authorities, including for companies like Amazon, Apple, and Starbucks has sparked fierce debate over the existence of an EU principle of “arm’s length” taxation and its possible content. The chapter examines this debate and issues pertaining to the relationship between State aid law and double taxation treaties, justifications on the basis of providing double tax relief or protection from tax avoidance, and the scope of administrative discretion that State aid law needs to accord in a highly technical area of national law such as transfer pricing
The research studies international transfer pricing issues related to taxation of inter- group servi...
European Union (EU) law has played a key role in enforcing the EU BEPS agenda, while also introducin...
This talk focuses on the Commission recent decisions requiring certain EU Member States to recover a...
peer reviewedThis contribution addresses the interaction of State aid law with transfer pricing rule...
This contribution explores the influence of state aid law on tax measures for the provision of relie...
Global multinationals such as Apple, Amazon, McDonald’s, and Fiat have come under fire for avoiding ...
The purpose of this Essay is to place in context the four investigations currently open in relation ...
This book is a compilation of contributions exploring the impact of the European Treaty provisions r...
The European Union was devised to promote competition in the international market environment and en...
Global multinationals such as Apple, Amazon, McDonald’s, and Fiat have come under fire for avoiding ...
Transfer pricing has become an integral part of the strategies of multinational entities due to the ...
In 1988, the US Treasury Department published a study of inter-company pricing (the \u27White Paper\...
Transfer pricing refers is a practice that is mainly conducted by Multinational Enterprises to evade...
Transfer pricing is an important issue for transnational enterprises (TNEs) seeking to comply with t...
Via a global analysis of more than 180 transfer pricing cases from 20 representative jurisdictions, ...
The research studies international transfer pricing issues related to taxation of inter- group servi...
European Union (EU) law has played a key role in enforcing the EU BEPS agenda, while also introducin...
This talk focuses on the Commission recent decisions requiring certain EU Member States to recover a...
peer reviewedThis contribution addresses the interaction of State aid law with transfer pricing rule...
This contribution explores the influence of state aid law on tax measures for the provision of relie...
Global multinationals such as Apple, Amazon, McDonald’s, and Fiat have come under fire for avoiding ...
The purpose of this Essay is to place in context the four investigations currently open in relation ...
This book is a compilation of contributions exploring the impact of the European Treaty provisions r...
The European Union was devised to promote competition in the international market environment and en...
Global multinationals such as Apple, Amazon, McDonald’s, and Fiat have come under fire for avoiding ...
Transfer pricing has become an integral part of the strategies of multinational entities due to the ...
In 1988, the US Treasury Department published a study of inter-company pricing (the \u27White Paper\...
Transfer pricing refers is a practice that is mainly conducted by Multinational Enterprises to evade...
Transfer pricing is an important issue for transnational enterprises (TNEs) seeking to comply with t...
Via a global analysis of more than 180 transfer pricing cases from 20 representative jurisdictions, ...
The research studies international transfer pricing issues related to taxation of inter- group servi...
European Union (EU) law has played a key role in enforcing the EU BEPS agenda, while also introducin...
This talk focuses on the Commission recent decisions requiring certain EU Member States to recover a...