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BEPS Actions 8-10. Aligning of Transfer Pricing outcomes to value creation

BEPS Actions 8-10. Aligning of Transfer Pricing outcomes to value creation Probably, the most important issue addressed by the OECD on its action plan vs. base erosion and profit shifting is transfer pricing. The new rules main objective is to guarantee that “that profits are taxed where economic activities generating the profits are performed and where value is created”. In

Webinar “Transfer Pricing Obligations 2019”

Webinar “Transfer Pricing Obligations 2019” Next Thursday, June 13, from 10:30 AM to 12:30 PM, our firm will participate in the webinar “Transfer Pricing Obligations 2019”, organized by Thomson Reuters. During the webinar we will address the fine points of the transfer pricing documentation, specifically the following: 1. Characteristics of the documentation standard proposed by

SAT Mexico confirm liability of transfer pricing advisors in connection with non binding criteria

SAT Mexico confirm liability of transfer pricing advisors in connection with non binding criteria The Mexican Tax Authorities released clarifications on regards of the transfer pricing advisors liability in connection with the non binding criteria 39 (unique and valuable contributions) and 40 (adjustments within the arms length range). Here the document (in Spanish): https://www.sat.gob.mx/consulta/61909/criterios-no-vinculativos-de-precios-de-transferencia

Transfer pricing miscellaneous tax rules guide

Transfer pricing miscellaneous tax rules guide The 24 of April of this year the Mexican Official Gazette -Diario Oficial de la Federación- published the miscellaneous tax resolution for 2019 containing norms regarding the transfer pricing regime. The following is a summary of the norms that are either directly or indirectly related to the regime, organized