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Transfer pricing guidelines should be interpreted consistently with BEPS changes, OECD says
Countries that integrate the OECD transfer pricing guidelines into their national laws should now begin to apply not only the recently approved OECD/G20 base erosion profit shifting (BEPS) plan transfer pricing changes, but should also interpret all . . .
Protocol to UK / Isle of Man tax treaty enters into force
A protocol amending the double tax treaty between the Isle of Man and the UK entered into force March 23 the . . .
Australia weighs adoption of new OECD BEPS transfer pricing standards
The Australian Treasury on February 11 opened a consultation on whether Australia should adopt into law final OECD/G20 base erosion profit shifting (BEPS) transfer pricing . . .
US IRS eases FATCA compliance
The US IRS on January 19 announced in Notice 2016-08 that it will amend existing regulations under sections 1441–1464 and 1471–1474 regarding the timing of submitting preexisting . . .
CIAT-SECO partnership strengthens Latin American and Caribbean tax administrations
Robert Feinschreiber of Charles River Associates and Margaret Kent of Transfer Pricing Consortium, discuss recent activities of the Inter-American Center of Tax Administrations (CIAT) and the State Secretariat for Economic Affairs of the Swiss Government (SECO) to assist tax administrations in Bolivia, El Salvador, Guatemala, Guyana, Honduras, and Nicaragua with transfer pricing and other issues . . .