UK Transfer Pricing

Publisher:   LexisNexis UK
ISBN:  

9780754547556


Pages:   200
Publication Date:   25 October 2012
Format:   Paperback
Availability:   In Print   Availability explained
This item will be ordered in for you from one of our suppliers. Upon receipt, we will promptly dispatch it out to you. For in store availability, please contact us.

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UK Transfer Pricing


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Overview

The last year has seen significant amendments to UK transfer pricing guidance, with more changes anticipated. There have also been legislative and case law developments which have brought into question the compliance of the UK's transfer pricing rules with European Union (EU) law. The interaction of transfer pricing with other areas of tax law can be complex with several special sets of transfer pricing rules for specific issues in different parts of the Taxes Acts. It is crucial that practitioners working in this area understand and are up-to-speed with any changes in transfer pricing so that they are able to effectively advise clients. UK Transfer Pricing 2012-13 explores all of the above issues in a style that is both comprehensive and informative, through the use of numerous practical examples and case studies.

Full Product Details

Publisher:   LexisNexis UK
Imprint:   Butterworths Law
Weight:   0.420kg
ISBN:  

9780754547556


ISBN 10:   0754547558
Pages:   200
Publication Date:   25 October 2012
Audience:   Professional and scholarly ,  Professional & Vocational
Format:   Paperback
Publisher's Status:   Active
Availability:   In Print   Availability explained
This item will be ordered in for you from one of our suppliers. Upon receipt, we will promptly dispatch it out to you. For in store availability, please contact us.

Table of Contents

Fundamental Sources; Selected Leading Cases; The Arm's Length Principle and Comparability; Associated Enterprises; Recharacterisation Issues; Functional Analysis; Analysis of Functions, Assets and Risk; Relating Functional Analysis to Selection of TP Method; Transfer Pricing Methods; Choice of TP Method; Comparability Analysis - OECD Proposed Process; Comparability Analysis Aggregation and Use of Non Third Party Transactions; Comparability Analysis - Sources of Information & Timing Issues; Comparability Adjustments; The Arm's Length Range; Comparability Compliance Issues; Specific Transactions: Intra-Group Services; Specific Transactions: Finance; Specific Transactions: IP; Specific Transactions: Business Restructuring; Permanent Establishments; Compliance Issues; Avoiding Double Taxation & Dispute Resolution; MAP

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