High-end Transfer Pricing
Series of materials: Transfer Pricing and losses are not a verdict yet. In what cases are they justified and how shall it be done
Part 1, 2
SIMILAR POSTS
Better late than never: Legislators have finally decided to improve the rules on liability for correction of TP Reporting
1463
The Cabinet of Ministers of Ukraine has updated the list of low-tax jurisdictions
2320
The Multilateral Competent Authority Agreement on the Exchange of Country-by-Country Reports has entered into force for Ukraine: Implications for participants of MNE groups in Ukraine
917
Changes in the characteristics of non-resident counterparties for recognising transactions as controlled or making a 30% adjustment for corporate profit tax purposes
2201
Ukrainian Court Denies Characterization As Stewardship Expenses
982
Comparables Selection Was Correct After All, Ukrainian Court Says
537
Comparables Analysis Insufficient; Ukrainian Court Remands Case
1228
“Massive” requests regarding application of the 30% adjustment on corporate income tax. What is wrong and what to do?
2945
Ukraine: The War is not an excuse to ignore Transfer Pricing Compliance
1215
Finally! Ukraine has joined Multilateral Competent Authority Agreement on the Exchange of Country-by-Country Reports
1932
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