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      • — POSTGRAD —
      • International Taxation
      • Transfer Pricing
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    Home » International Tax » Page 3

    Tag: International Tax

    Emerging Transfer Pricing Trends in Africa: Insights from Dr. Daniel Erasmus at the 13th Annual Africa TP Summit

    In this insightful address at the 13th Annual Africa Transfer Pricing Summit, Dr. Daniel N Erasmus explores the most pressing trends in transfer prici…
    ATL-Editor 10 October 2024

    Understanding the Comparable Profit Method (CPM) in Transfer Pricing

    The Comparable Profit Method (CPM) is a widely used approach in transfer pricing, employed to ensure that transactions between related entities (often…
    ATL-Editor 7 October 2024

    General Motors v. ACIT, Circle International Taxation 1(3)(1), New Delhi

    The Income Tax Appellate Tribunal (ITAT), Delhi Bench, ruled in favour of General Motors USA in a case revolving around the Double Taxation Avoidance …
    Dr Daniel N Erasmus 9 September 2024

    Tax Planning in International Taxation: Navigating Compliance and Avoidance

    International Tax Planning is a crucial aspect for multinational corporations seeking to optimize their global tax obligations. With the increasing co…
    Dr Daniel N Erasmus 29 August 2024

    Mutual Agreement Procedures (MAP): Key Guidelines

    Mutual Agreement Procedures (MAP) are key mechanisms that ensure fair tax treatment in international transactions. They help resolve conflicts between…
    Dr Daniel N Erasmus 28 August 2024

    How Changes in Tax Residency Impact South African Trusts

    The impact of tax residency on South African trusts introduces several complexities that require meticulous planning. This guide explores the critical…
    Dr Daniel N Erasmus 21 August 2024

    The Italian Supreme Court’s Landmark Ruling on Loss-Making Entities: My Take

    In August 2024, the Italian Supreme Court delivered a pivotal ruling on transfer pricing, specifically addressing the inclusion of loss-making entitie…
    Dr Daniel N Erasmus 14 August 2024

    Italian Supreme Court Ruling on Transfer Pricing: Inclusion of Loss-Making Entities in Comparability Analyses

    The Italian Supreme Court's 2024 ruling mandates including loss-making entities in transfer pricing comparability analysis, aligning with OECD guideli…
    Dr Daniel N Erasmus 12 August 2024

    Dr. Daniel N Erasmus to Address Key Transfer Pricing Challenges at Africa 2024 Conference

    Dr. Daniel N Erasmus, a leading expert in international tax law and transfer pricing, will be a key speaker at the upcoming Online Transfer Pricing Co…
    Dr Daniel N Erasmus 8 August 2024

    Transfer Pricing Policies and Methodologies in Transfer Pricing Documentation

    Transfer pricing policies and methodologies are critical components of transfer pricing documentation, which is essential for multinational corporatio…
    Dr Daniel N Erasmus 31 July 2024
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