UK vs REFINITIV AND OTHERS (Thomson Reuters): JUDGMENT

Case Information

  • Court: Court of Appeal (Civil Division)
  • Case No: CA-2023-002584
  • Applicant: Refinitiv Limited and affiliates (including Thomson Reuters Corporation)
  • Defendant: HMRC (His Majesty’s Revenue and Customs)
  • Judgment Date: 15 November 2024

The Court of Appeal’s decision in Refinitiv v HMRC is a defining moment in the intersection of transfer pricing and Diverted Profits Tax (DPT). The case revolved around DPT notices issued to three UK-resident companies within the Thomson Reuters group for the 2018 tax period, totaling over £167 million. The dispute arose from conflicting interpretations of an expired Advance Pricing Agreement (APA) between the companies and HMRC.

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File Type: pdf
File Size: 518 KB
Countries: United Kingdom
Tags: Advanced Pricing Agreements, ALP, APAs, Arms Length Principle, Diverted Profits Tax, Economic Substance, Tax Compliance, Tax Risk Management, TNMM, Transactional Net Margin Method, Transfer Pricing