Mayer Brown’s Best Methods analyzes developments in transfer pricing, int'l tax, OECD / BEPS, etc. Tweets by A. Pastore. Not legal advice. RTs ≠ endorsements.
Tax penalties can come as a nasty surprise in a dispute with the #IRS over #transferpricing. Our blog post summarizes how these penalties work. https://t.co/lcVgg1uuB5
Comments to the #OECD's two public consultation documents on Amount A are due on June 10. Check out our blog post for more info. #transferpricing https://t.co/6fVjZxbmvT
At DC Bar, OECD's Pascal Saint-Amans says a Pillar One agreement will have to be ratified by Congress. Notes challenges therein. Still hoping for a political consensus on all that -- and then a formal multilateral agreement.
We have consulted the "augurs" and have compiled our best #transferpricing predictions for the coming year. Happy holidays everyone! https://t.co/6BafVG2nnf
Check out our new post on recent #IRS guidance on intercompany reimbursements of branded prescription drug fee. #transferpricing https://t.co/yN1KrYzFaQ
@TaxNerd4 Thomson Reuters/RIA Checkpoint has two that are good. One is called "U.S. International Transfer Pricing," and the other is called "Transfer Pricing Strategies."
In our new blog post, we briefly comment on a point about the standard of review in #transferpricing cases that is related to a recent @TaxNotes article. https://t.co/9VJoKzcPdW
Our new blog post, "No Secrets are Safe in an Era of Global #Tax Information Exchange," explores the powers of taxing authorities to exchange taxpayer information, sometimes even spontaneously! https://t.co/twGpJZe2S7
Last week, the #IRS released new guidance on cost-sharing agreements with reverse claw-back provisions. Check out our analysis! #transferpricing https://t.co/ETAW5xiusq