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    Home » Comparable Uncontrolled Price Method

    Tag: Comparable Uncontrolled Price Method

    India vs Samsung Electronics: Permanent Establishment Dispute

    The High Court of Delhi ruled on appeals filed by the Commissioner of Income Tax (International Taxation) against Samsung Electronics Co. Ltd., challe…
    ATL-Editor 23 January 2025

    Australia vs PEPSICO: TRANSFER PRICING CASE

    This case, decided by the Federal Court of Australia on 30 November 2023, addressed key taxation issues involving royalty withholding tax and diverted…
    ATL-Editor 29 November 2024

    Australia vs Oracle: Transfer Pricing Case

    This case addressed Oracle Corporation Australia Pty Ltd’s application to temporarily stay domestic court proceedings while a Mutual Agreement Proce…
    ATL-Editor 28 November 2024

    UK vs Glencore Energy: Transfer Pricing Case

    This case examines the boundaries of judicial review in tax disputes involving the Diverted Profits Tax (DPT), a tax introduced by the Finance Act 201…
    ATL-Editor 27 November 2024

    Portugal vs A Mining SA: Transfer Pricing Case

    The case concerns a tax dispute between A…, S.A., a Portuguese mining company, and AT - Tax and Customs Authority. At the heart of the issue was the…
    ATL-Editor 18 November 2024

    Italy v. Ilapak SPA Transfer Pricing Case

    The Italy v. Ilapark SPA case brings forward critical issues in transfer pricing, specifically the appropriateness of the selected transfer pricing me…
    ATL-Editor 14 November 2024

    Italy v. Ilapak SPA Transfer Pricing Case

    The Italy v. Ilapark SPA case brings forward critical issues in transfer pricing, specifically the appropriateness of the selected transfer pricing me…
    ATL-Editor 14 November 2024

    Australia vs SNF: In-Depth Summary

    The case Commissioner of Taxation v. SNF (Australia) Pty Ltd concerned a dispute over the application of the arm's length principle in the context of …
    ATL-Editor 6 November 2024

    Australia vs SingTel Transfer Pricing Case

    The High Court of Australia deliberated on a significant transfer pricing case between Singapore Telecom Australia Investments Pty Ltd (STAI) and the …
    ATL-Editor 5 November 2024

    Understanding the Comparable Uncontrolled Price (CUP) Method in Transfer Pricing

    The Comparable Uncontrolled Price (CUP) Method is one of the primary transfer pricing methods used to determine arm's length prices for transactions b…
    Dr Daniel N Erasmus 8 July 2024
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