Analysis of BlackRock HoldCo 5, LLC v HMRC: Transfer Pricing and Unallowable Purpose Test
Explore the key aspects and implications of the BlackRock HoldCo 5, LLC v HMRC case, focusing on transfer pricing and the unallowable purpose test.
Explore the key aspects and implications of the BlackRock HoldCo 5, LLC v HMRC case, focusing on transfer pricing and the unallowable purpose test.
Detailed analysis of the UK vs. Kwik-Fit transfer pricing case, its global implications, and the value of expert guidance in transfer pricing matters.
UK vs. Kwik-Fit Transfer Pricing Case: Implications for Multinationals Read Post »
In this short video, Renier van Rensburg highlights the complexities of transfer pricing interest on shareholder loans and related matters.
TRANSFER PRICING: INTEREST ON SHAREHOLDER LOANS AND RELATED MATTERS Read Post »
Don’t miss our International Tax Planning & Structure Execution event designed to boost your collaboration skills.
WEBINAR: International Tax Planning & Structure Execution Read Post »
Uncover the essentials of the Transactional Net Margin Method, the most common transfer pricing strategy for global businesses.
Discover strategies at the GTC Conference 2024 on creating a controversy roadmap for MNEs. Join us in Milan or online on June 7, 2024.
Join Us at the GTC Conference 2024 in Milan: Mastering Controversy Roadmaps for MNEs Read Post »
Explore the critical insights from the Tresping Manufacturing vs. SARS case on navigating tax disputes and compliance with customs regulations.
Tax Dispute Resolutions: A Case Study on Tresping Manufacturing vs. SARS Read Post »
Dive into the latest EU Transfer Pricing Updates aimed at harmonizing guidelines within the EU, promising clarity and tax certainty for businesses.
Unpacking the Latest EU Transfer Pricing Updates Read Post »
TRM Tax Attorneys secures landmark victory in South Africa’s first transfer pricing case, demonstrating expertise in resolving complex tax disputes. Learn how Prof Dr Daniel N Erasmus and his team can assist you.
Landmark Transfer Pricing Case from South Africa Read Post »
The X BV v Staatssecretaris van Financiën case revolves around a key issue in corporate tax: the denial of interest deductions for intra-group loans in cross-border transactions.
X BV v Netherlands (Staatssecretaris van Financiën Case) Read Post »
Explore how TRM’s expertise in transfer pricing challenges in South Africa helped ABD Limited win against SARS, offering insights for multinationals.
South Africa’s First Transfer Pricing Case Read Post »
Can we hear a “woohoo”!? Yes, you read right, South Africa has finally had its first TP case and whaddaya know, the taxpayer won!
South Africa’s first Transfer Pricing case, and it’s a win for the taxpayer! Read Post »