China’s State Administration of Taxation (SAT) implemented a measure for taxpayers to take advantage of mutual agreement procedures (MAP) for the resolution of cross-border tax disputes this month.
Multinationals in New Zealand have been told exactly what is expected of them in a new document outlining compliance requirements and the approach the Inland Revenue will take towards cross-border financing, controlled foreign companies and transfer pricing.
US multinational IBM is fighting a challenge from the Indian tax authorities over an exemption which it tried to claim on income generated from software exports.
The Federal Prosecutor’s Office (MPF) in Brazil has issued an opinion against mining multinational Vale in its fight to show that the country’s controlled foreign company (CFC) rules unlawfully override double tax treaties.
Medical technology multinational, Medtronic, could suffer after the US Tax Court denied the company's request for a protective order in its transfer pricing case.
Medical technology multinational, Medtronic, could suffer damaging consequences after the US Tax Court denied its request for a protective order in its transfer pricing case so it is important that other taxpayers understand why the court rejected the request.