Discusses the implications of the transfer pricing policy implemented by the British Inland Revenue for the private equity industry. Reaction of the British Venture Capital Association to the pricing policy; Reason behind the decision of Inland Revenue to implement the policy; Impact of the policy on...
Partner, Transfer Pricing Dispute... KPMG in the UK Profile||Phone Grant Ashbrook Partner, Tax and Legal. Growth lead for KPE... KPMG in the UK Profile||Phone Tim Sarson Partner, UK Head of Tax Policy KPMG in the UK Profile||Phone ...
This section is particularly of relevance where a multi-jurisdictional approach is taken in respect of transfer pricing design and compliance, which could lead HMRC to challenge TP policy on the basis that UK specific facts and circumstances are not appropriately taken into account. Ind...
The UK has had atransfer pricingregime for many years, but SMEs have always been exempt. The big takeaway from the new legislation as far as SMEs are concerned, is that the new rules extend the transfer pricing rules to all businesses, regardless of size. Under EU definitions, an SME is ...
The potential use of international transfer pricing (ITP) as an income-shifting mechanism by multinational enterprises (MNEs) has long been recognized. However, there is relatively little evidence to substantiate or discount this claim in relation to UK-based foreign-controlled enterprises (FCEs). Th...
UK Transfer Pricing and the Tax Avoidance Debate 来自 EBSCO 喜欢 0 阅读量: 33 作者: Wilmshurst, Paul 摘要: The article discusses issues related to the tax avoidance debate in Great Britain in 2013. It analyzes some of the main developments leading to the meeting of the Group of Twenty ...
Joel is the EY UK&I Transfer Pricing Leader and EY Global International Tax and Transaction Services Controversy Leader. He advises clients from a range of in...
Our experienced transfer pricing team can help your business develop, implement, document and defend your transfer pricing arrangements in the UK and globally.
In addition to a sound academic background, it is likely that the successful candidate will have extensive experience of advising multinational clients on transfer pricing. Wider experience of other corporate tax or related international issues would also be an advantage. In particular, we are looking...
Transfer Pricing has been the number one source of risk identified in the last four EY Tax Risk and Controversy surveys. Taking a proactive approach to managing it is important, but difficult with limited resources. What are some things you can do to keep up with rising demands for doc...