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      • — POSTGRAD —
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    Home » TNMM » Page 3

    Tag: TNMM

    The Importance of Thorough Economic Analysis in Transfer Pricing

    Discover why thorough economic analysis in transfer pricing is essential for compliance and profit optimization. Learn how experts like TRM can help.
    Dr Daniel N Erasmus 3 July 2024

    Czech Transfer Pricing Case Highlights Importance of Burden of Proof

    Analysis of the ERT Automotive Bohemia case emphasizses the critical role of the burden of proof in transfer pricing disputes and its implications for…
    Dr Daniel N Erasmus 2 July 2024

    Czech Transfer Pricing Case: ERT Automotive Bohemia Wins Appeal Against Tax Authorities

    Analysis of the Czech transfer pricing case where ERT Automotive Bohemia won against tax authorities, highlighting key issues and implications for mul…
    Dr Daniel N Erasmus 2 July 2024

    CUP vs TNMM in Italy vs DG: A Transfer Pricing Method Analysis

    Analyze the Italy vs DG transfer pricing case, comparing CUP and TNMM methods from tax authority and taxpayer perspectives. Insights from Prof. Dr. Er…
    Dr Daniel N Erasmus 28 June 2024

    Transfer Pricing Case Analysis: Italy vs Dolce & Gabbana

    The Italy vs DG transfer pricing case is a significant ruling that has far-reaching implications for multinational enterprises and tax authorities wor…
    Dr Daniel N Erasmus 28 June 2024

    X Holding Case: Dutch Supreme Court Rules on TP Dispute

    Explore the Dutch Supreme Court's ruling in the X Holding transfer pricing case and its implications for multinational corporations and tax authoritie…
    Dr Daniel N Erasmus 24 June 2024

    Transfer Pricing Case: Czech Republic vs. AHI Oscar S.R.O.

    Explore the in-depth analysis of the landmark transfer pricing case between Czech Republic and AHI Oscar S.R.O., highlighting its significance for mul…
    Dr Daniel N Erasmus 18 June 2024

    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.
    Dr Daniel N Erasmus 24 May 2024

    What is the most common Transfer Pricing Method? The Transactional Net Margin Method Explained

    Uncover the essentials of the Transactional Net Margin Method, the most common transfer pricing strategy for global businesses.
    Dr Daniel N Erasmus 14 May 2024

    Boston Scientific v. CIT (India): Permanent Establishment and TP Implications

    This case, heard by the Indian courts, raises significant issues concerning the activities that constitute a PE, especially in relation to multination…
    Dr Daniel N Erasmus 1 August 2023
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