#5MinutesTP Episode 2

Knowledge#5MinutesTP Episode 2

#5MinutesTP - Episode 2


All you need to know about transfer pricing documentation.




1 May '16

The ATO warns Taxpayers and Advisors on Profit Shifting Arrangements

On 26 April 2016, The Australian Taxation Office (ATO) released four of Tax Alerts warning multinationals and their tax advisors on potential profit-shifting arrangements that will be closely examining to identify any attempts of tax avoidance.
 


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18 Apr '16

Update on Asia Pacific Region and CbC Reporting

In the Asia-Pacific Region, Australia, and Japan have both been on the front foot of the BEPS action plan changes releasing legislation to introduce CbC Reporting. It is expected that all countries in the Asia-Pacific Region will introduce the CbC Reporting as it is a key element of the BEPS Action Plan agreed by all 34 OECD member countries, G20 nations, and other nations which joined the BEPS discussions at the OECD.


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14 Apr '16

New Transfer Pricing Benchmarking Website

Transfer Pricing Solutions (TPS) is pleased to reveal a new website to boot!

www.transferpricingbenchmarking.com


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1 Apr '16

Are you prepared for the new BEPS and CbC Reporting Landscape?

The CbC Reporting has created a ‘BEPS wave’ in the industry and has become an area of focus for tax practitioners, with many countries releasing new legislation and reporting requirements for multinational enterprises (MNE).


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3 Feb '16

Transfer Pricing Solutions Expands into Asia

Transfer Pricing Solutions is growing. As an industry leader in the Asia-Pacific Region, we are delighted to announce the opening of our new entity located in Singapore. Transfer Pricing Solutions Asia allows us to cement our expertise in transfer pricing solutions in one of Asia’s largest financial centres, increasing our presence in the region


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13 Jan '16

MAAL Under the Microscope: Australia’s Multinational Anti-Avoidance Law

Transfer pricing remains in the eye of the Australian Taxation Office (ATO) with further developments on the enforcement of Australia’s multinational anti-avoidance law (MAAL). The spotlight on the anti-avoidance law affirms Australia’s commitment to enforcing tax transparency and the implementation of BEPS Action plan.

 


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17 Dec '15

New high risk transaction: Procurement hubs

The ATO is currently focusing on reviewing arrangements involving the use of offshore procurement hubs that source goods on behalf of Australian resident multinational enterprises (MNEs).

In the most recent Tax Payer Alert TA 2015/5, the ATO announced that is focusing on structures where the procurement hub offshore is sourcing goods on behalf of the Australian MNE and is also receiving services from another related party entity located offshore (Service hub).


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