2023 Transfer pricing

Transfer Pricing – How to practically manage TP risk: insights from recent ATO reviews and what lies beyond for TP

Source: New South Wales

Published Date: 18 May 2023

 

Sorry, this is subscriber only content.

If you're not yet a subscriber, to gain access to this material and much more - Subscribe Now.

Already a Subscriber? Login now

Already a Subscriber? Login now

Transfer pricing remains one of the key issues for multinationals with an ongoing focus from the ATO its many review or assurance programs.

This paper discusses some of the insights from recent ATO reviews on TP matters and how tax teams can practically manage TP risk in their organisation.

In addition, it will consider how the other recent tax law changes (such as the proposed thin capitalisation changes and the related party payments in relation to intangibles) can impact TP and what additional TP considerations taxpayers should focus on.

Individual Session


Details

The material is copyright. Apart any fair dealing for the purpose of private study, research criticism or review, as permitted under the copyright Act, no part may be reproduced by any process without written permission from The Tax Institute.

Unless expressly stated, opinions are not that of The Tax Institute, which accepts no responsibility for the accuracy of any of the information contained within it.

The Tax Institute
(ABN 45 008 392 372 (PRV14016))

("TTI")

The Tax Institute is a Recognised Tax Agent Association (RTAA) under the Tax Agent Services Regulations 2009. 

Copyright Statement

All materials provided on this site are protected by copyright and are owned by or licensed to TTI.

Except as expressly permitted by TTI or the copyright owner, any person or company who uses this site must not use, reproduce, redistribute, retransmit, publish or otherwise transfer, or commercially exploit, the materials or any information, software or other content, in whole or in part, which is available through this site.

Tags

2023 Transfer pricing

Share this page