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The editors of USTransferPricing.com are pleased to announce the publication of our new book, the Tax Director's Guide to International Transfer Pricing. This resource comes in response to the questions of you, our readers, regarding pressing international transfer pricing issues facing your companies. To produce it, we brought together forty-two of the world's leading transfer pricing professionals to answer your questions and to offer their insights.

Tax Director's Guide to International Transfer Pricing

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Forty-two of the world's leading transfer pricing professionals offer their advice and insights on how to navigate complex issues, including:

- When is an APA Advantageous?
- Understanding the New U.S. Services Regulations
- Transfer Pricing Implications of Reorganizations
- Valuing Intangibles Under Cost Sharing Arrangements
- How to Apply the Best Method Rule

The book also provides a country-by-country review of transfer pricing laws in a dozen major economies, addressing questions such as:

- What transfer pricing methods are accepted?
- Do the local tax authorities favor a given method?
- What dispute resolution mechanisms are available?
- Are APAs allowed and, if so, what are the rules?
- To what extent are international guidelines followed?
- How is the acceptability of comparables determined?
- What are the documentation requirements?
- How are non-compliance penalties calculated?

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