Regarding the definition of “royalty” term for the purposes of tax legislation, as well as for forming of the cost of royalties, paid to nonresidents (update of the Legal Alert 6, dated August 21, 2010)
Kind regards,
SIMILAR POSTS
Ukraine Ministry of Finance clarifies general tax consultation on deemed dividends
3577
Ministry of Finance of Ukraine clarifies some TP issues
3783
Ukraine’s new transfer pricing rules expand taxpayer obligations
13693
Another reincarnation of the special TP rules regarding raw materials. Will it work this time?
5246
Penalties for violation in cash circulation sphere. Is everything so bad?
2761
Global Trend: Operations with Raw Materials and Traditional Hard Industrial Products as a target of TP
1708
Parallel Import: Hidden Tax Risks for Official Importers in the context of Transfer Pricing rules
5632
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
3491
WTS Global Country TP Guide:
A comprehensive survey on Transfer Pricing from 73 countries
17333
Q&A with Alexander Minin of KM Partners, 2019 “Law Firm of the Year” Winner in Ukraine
2390
Is ATO over?
Or “I’ve brought you a package… But I will not give it to you”
11430
Bulgaria is excluded from the list of “low tax” jurisdictions for TP purposes
7850
Leave a comment







