Tax administrators in emerging countries continue their efforts to prevent perceived base erosion, resulting in increased transfer pricing audits and controversy in these countries. In some Asian and Latin American countries, for example, tax authorities have been assertive in questioning what they perceive as “abusive” intercompany financing, in addition to challenging commodities transfer pricing and the substance of principal companies along the supply chain. In today’s environment, it is more critical than ever for multinational companies to have a robust transfer pricing strategy in place.
Additional information and links to past newsletters can be found in the attached PDF.
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