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    Quantera Global Newsletter – March 2023

    We are pleased to share the most important national and global developments in tax law that are (closely) related to the transfer pricing world. Please feel free to contact us if you have any questions. Quantera Global news, developments, and blog...
    We are pleased to share the most important national and global developments in tax law that are (closely) related to the transf...
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    Comparability analysis: more than only a benchmark study

    A comparability analysis is an essential part of any transfer pricing analysis. Its purpose is to obtain an in-depth understanding of the significant characteristics of the controlled transaction and the roles of the respective parties involved wh...
    A comparability analysis is an essential part of any transfer pricing analysis. Its purpose is to obtain an in-depth understand...
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    Major developments in the Dutch transfer pricing landscape: an overview

    In the past 10 years there have been major developments in the Dutch transfer pricing landscape. From the Dutch TP decree issued in November 2013 to a new Dutch TP decree in 2022. Or the implementation of the Master File and Local file in the Dutc...
    In the past 10 years there have been major developments in the Dutch transfer pricing landscape. From the Dutch TP decree issue...
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    Quantera Global Newsletter – February 2023

    We are pleased to share the most important national and global developments in tax law that are (closely) related to the transfer pricing world. Please feel free to contact us if you have any questions. Quantera Global news, developments, and blog...
    We are pleased to share the most important national and global developments in tax law that are (closely) related to the transf...
    Read more

    Price setting vs price testing; which TP method to apply?

    The OECD distinguishes traditional transaction methods and transactional profit methods. The traditional transaction methods compare the intercompany price with the external price of a product or service (gross margin for Cost Plus and Resale Minu...
    The OECD distinguishes traditional transaction methods and transactional profit methods. The traditional transaction methods co...
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    Quantera Global Newsletter – January 2023

    The Quantera Global team wishes everyone a happy new year! We look forward to 2023 with great anticipation. It will be a special year for us, as we will celebrate our 10th anniversary. For more information, keep an eye on our newsletter, website a...
    The Quantera Global team wishes everyone a happy new year! We look forward to 2023 with great anticipation. It will be a specia...
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    Quantera Global Newsletter – December 2022

    Quantera Global news, developments, and blogs On 7 December, NOB’s TP section hosted a PE program on the transfer pricing decree and other current affairs with our colleague Rudolf Sinx as chairman of the day. Together with delegates from th...
    Quantera Global news, developments, and blogs On 7 December, NOB’s TP section hosted a PE program on the transfer pricing...
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    Intercompany services; do you provide an easy route to Transfer Pricing corrections?

    Almost all groups are engaged in intercompany services to some extent. This could for example include administrative, commercial, financial, technical or head office services. In practice we often see that these intercompany services are insuffici...
    Almost all groups are engaged in intercompany services to some extent. This could for example include administrative, commercia...
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