Transfer Pricing developments and year-end-developments
It is already October, one of the last months of what has been a challenging year so far. 2020 has been characterized by the rapid spread of COVID-19, along with the economic downturn as a result of this spread. In these times of economic adversit...
It is already October, one of the last months of what has been a challenging year so far. 2020 has been characterized by the ra...
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IBOR transition, reconsideration of intercompany financing transactions is required
Because of the financial crisis and the LIBOR scandal, a global project to reform interest benchmark rates has started in 2013. Several existing interbank offered rates (IBORs) such as the Euribor and LIBOR are in the process of being renewed or p...
Because of the financial crisis and the LIBOR scandal, a global project to reform interest benchmark rates has started in 2013....
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Quantera Global Newsletter – October 2020
In this Newsletter we would like to keep you up to date on relevant Transfer Pricing developments in an accessible manner. We are pleased to keep you informed about the most important national and global developments in tax law that are (closely) ...
In this Newsletter we would like to keep you up to date on relevant Transfer Pricing developments in an accessible manner. We a...
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Developments in intercompany financial transactions
The transfer pricing aspects of intercompany financial transactions are often considered to be complicated. These difficulties arise due to the characteristics of financial instruments and continuous developments of financial markets. In this blog...
The transfer pricing aspects of intercompany financial transactions are often considered to be complicated. These difficulties ...
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Transfer Pricing & Mandatory Disclosure
The EU Mandatory Disclosure Directive (MDD/DAC6) obliges intermediaries and taxpayers to report certain tax and TP arrangements to tax authorities. This will increase the compliance burden for companies and tax intermediaries. Certain TP arrangeme...
The EU Mandatory Disclosure Directive (MDD/DAC6) obliges intermediaries and taxpayers to report certain tax and TP arrangements...
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OECD pillar one and two blueprints
In October and November 2019, the OECD released discussion drafts as part of BEPS Action 1 on taxation in the digital economy. The proposals of the OECD consisted of two main “pillars”. Initially, the OECD intended to release final reports in Octo...
In October and November 2019, the OECD released discussion drafts as part of BEPS Action 1 on taxation in the digital economy. ...
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Quantera Global Newsletter – September 2020
In this Newsletter we would like to keep you up to date on relevant Transfer Pricing developments in an accessible manner. We are pleased to keep you informed about the most important national and global developments in tax law that are (closely) ...
In this Newsletter we would like to keep you up to date on relevant Transfer Pricing developments in an accessible manner. We a...
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Transfer pricing documentation update: now is the right moment to act!
Most countries require companies to prepare transfer pricing documentation on a yearly basis. This relates for example to the master file, local files, and other local transfer pricing forms. It is important to meet these yearly documentation requ...
Most countries require companies to prepare transfer pricing documentation on a yearly basis. This relates for example to the m...
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