Carswell’s Tax Hyperion published “Why Transfer Pricing Disputes are on the Rise for Companies of All Sizes” by Matthew Wall.
MDW explained the final revisions to the OECD Guidelines for Chapter VI on Intangibles states the legal owner of intangibles does not have the right to all of the intangible profits.
MDW explained taxpayers with a “cash box” in a low or no-tax jurisdiction must review the 2015 OECD Guidelines and might need to revise their corporate structure, transactions between related parties, or both, to mitigate the risk of a dispute.
Bloomberg BNA interviewed Matthew Wall for “McKesson, Canadian Tax Agency Negotiate Settlement of TP Dispute.”
Bloomberg BNA had Matthew Wall lead a webinar on “Expected Changes in Transfer Pricing Methods.”
Bloomberg BNA interviewed Matthew Wall for “Canada to better align with OECD Work on BEPS, Annual Budget Suggests.”
MDW explained the CRA’s latest Transfer Pricing Memo (TPM-15) on intra-group services reads more like a training manual for auditors, and less like guidance for taxpayers.
MDW explained the CRA’s latest Transfer Pricing Memo (TPM-16) on multiple year data continues the Canada-U.S. differences.
Matthew Wall of MDW submitted detailed comments to the OECD on the BEPS Action 8, 9 and 10: Discussion Draft for Chapter I on transfer pricing for risk, recharacterisation and special measures.
Bloomberg BNA interviewed Matthew Wall for “U.S. and Canadian Courts to Address High-Profile Transfer Pricing Cases in 2015.”
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