The revised transfer pricing regime created by the 2018 BEPs changes — together with changes in focus and practice by Inland Revenue — have resulted in substantial changes to our transfer pricing landscape.
Companies with overseas affiliates will invariably need to consider their intra-group dealings and the extent to which they may need to analyse and justify to a tax authority the transfer pricing related to these dealings.
Written by transfer pricing specialist Mark Loveday, Transfer Pricing is designed to provide readers with a practical understanding of the fundamentals of transfer pricing and the issues surrounding it. New Zealand companies with offshore parents or subsidiaries will find the book invaluable.
Transfer Pricing focuses on the following key areas:
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