TP control over non-controlled transactions in Ukraine in the light of fresh Indian court practice
What will «budget» changes to the Tax Code add to the TP rules?
To adjust financial result or to apply TP – that is the question
Transfer pricing in figures
They looked as if they had complete confidence in their conclusions but then just changed their minds:
the State Fiscal Service of Ukraine insists that there is no need to make quarterly 30 % adjustments in transactions with companies registered in «low tax» jurisdictions and companies with legal forms included into the special list adopted by CMU
The spirit of the international community of TP professionals
Impressions of participation in the Global Transfer Pricing Forum in Munich under the auspices of the International Tax Review