The Law No. 466-IX stipulates that the income of individuals from certain transactions with investment assets is calculated at normal prices. What does it mean?
Ukraine adopts new procedure on advance pricing agreements for transfer pricing purposes
Ukraine Ministry of Finance clarifies general tax consultation on deemed dividends
Ministry of Finance of Ukraine clarifies some TP issues
Ukraine’s new transfer pricing rules expand taxpayer obligations
The draft law on tax amnesty introduces a new tax (fee): what for?
Country-by-Country Reporting: Form and procedure of submission
Transfer Pricing reporting for 2020: what else you should know
The Coca-Cola’s billion dollar loss in Transfer Pricing dispute with US tax authorities over royalties, or why taxpayers shouldn’t be overoptimistic about agreements with the state