The article aims at presenting the international possibilities for resolving the transfer pricing disputes. Main attention is drawn to the analysis of the provisions of the Model Tax Convention on Income and on Capital of the Organisation for Economic Co-operation and Development and the Convention on the Elimination of Double Taxation in Connection with the Adjustment of Profits of Associated Enterprises together disclosing their shortcomings
Via a global analysis of more than 180 transfer pricing cases from 20 representative jurisdictions, ...
The problematics of transfer pricing in Czech and International tax law Constant globalization leads...
Changeability is an immanent feature of tax systems. Over the last years, it has been even more noti...
Straipsnis skiriamas apžvelgti tarptautines galimybes spręsti ginčus transakcijų kainodaros srityje....
Transfer pricing between related parties and its issues As the globalization of the world continues,...
This article focuses on the problem of transfer pricing from an international taxation perspective. ...
In the dissertation there are analyzed peculiarities of transfer pricing legal regulation in Lithuan...
International tax issues already have not been problems of narrow circle of multinational enterprise...
In the conditions of globalization all the companies try to find the effective ways of maximizing th...
Transfer pricing Abstract The thesis focuses on transfer pricing which falls within a scope of inter...
Transfer pricing is a topical subject because it has a strong impact on affiliated companies as well...
Straipsnyje "Tarptautinės ginčų transakcijų kainodaros sferoje nagrinėjimo galimybės" pagrindinis dė...
Throughout this thesis three main factors have been identified that can be out of significance for t...
The result of the global integration of the world economy are globally operating corporations. Multi...
This article will examine the significance of transfer pricing. Further, it will review, as an examp...
Via a global analysis of more than 180 transfer pricing cases from 20 representative jurisdictions, ...
The problematics of transfer pricing in Czech and International tax law Constant globalization leads...
Changeability is an immanent feature of tax systems. Over the last years, it has been even more noti...
Straipsnis skiriamas apžvelgti tarptautines galimybes spręsti ginčus transakcijų kainodaros srityje....
Transfer pricing between related parties and its issues As the globalization of the world continues,...
This article focuses on the problem of transfer pricing from an international taxation perspective. ...
In the dissertation there are analyzed peculiarities of transfer pricing legal regulation in Lithuan...
International tax issues already have not been problems of narrow circle of multinational enterprise...
In the conditions of globalization all the companies try to find the effective ways of maximizing th...
Transfer pricing Abstract The thesis focuses on transfer pricing which falls within a scope of inter...
Transfer pricing is a topical subject because it has a strong impact on affiliated companies as well...
Straipsnyje "Tarptautinės ginčų transakcijų kainodaros sferoje nagrinėjimo galimybės" pagrindinis dė...
Throughout this thesis three main factors have been identified that can be out of significance for t...
The result of the global integration of the world economy are globally operating corporations. Multi...
This article will examine the significance of transfer pricing. Further, it will review, as an examp...
Via a global analysis of more than 180 transfer pricing cases from 20 representative jurisdictions, ...
The problematics of transfer pricing in Czech and International tax law Constant globalization leads...
Changeability is an immanent feature of tax systems. Over the last years, it has been even more noti...