Poland’s Updated Transfer Pricing Reporting Regulations Take Effect

In a pivotal development for tax professionals, investors, and businesses in Poland, the Minister of Finance has implemented amendments to the decrees governing transfer pricing reporting related to corporate income […]
European Commission’s Tax Reform Agenda: BEFIT Framework and Transfer Pricing Directive

Introduction In recent years, the European Union (EU) has been at the forefront of global efforts to reform corporate taxation. The European Commission, proposed a comprehensive set of tax reforms […]
Transfer Pricing in the ESG Era: A Strategic Roadmap for Businesses

Transfer Pricing Policy based on Sustainability Norms The evolving environmental and ESG (Environmental, Social, and Governance) landscape has reshaped global corporate dynamics. Companies are now considering sustainability not only from […]
European Commission’s Proposal for Transfer Pricing Integration into EU Law: Implications for MNEs

On September 12, 2023, the European Commission unveiled a pioneering legislative proposal representing a substantial advancement in the field of international tax law. This proposal, a pivotal component of the […]
Advancements in Advance Pricing Agreements: A Global Perspective

In the evolving landscape of international taxation, recent developments in Advance Pricing Agreements (APAs) across various jurisdictions have been making waves. This article looks into the updates and modifications introduced […]
India Sets New Record for Bilateral Advance Pricing Agreements (APAs) in 2022-23

In a remarkable achievement, the Indian tax authority has reported a substantial increase in bilateral Advance Pricing Agreements (APAs) during the 2022-23 financial year. This significant development highlights India’s commitment to […]