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14 May 2020

​In July 2017, the Organisation for Economic Co-operation and Development (OECD) incorporated and updated the guidelines on Transfer Pricing. The approach includes the preparation of three documents: Master File, Local File, and the Country-by-Country Report.

29 April 2020

Multinational groups regularly face situations where the actual operating results at the end of the year are not in line with the arm’s-length principle. The situation becomes more intriguing when a company(s) having an intercompany transaction(s) does not satisfy the ALP.   

17 February 2020

Our guide will help you demystify the cloud of confusion surrounding Transfer Pricing. Here, we’ll cover everything you need to know about Transfer Pricing in Thailand. We have it all, including the new changes coming, and how you and your business can prepare. 

06 January 2020

The Thai Revenue Department has issued the transfer pricing disclosure form that companies will need to file with their corporate income tax return if they had related parties during the accounting period and their reported total revenues are greater than THB 200 million (approx. USD 6.64M).

28 December 2019

Our latest insights on Taxation of the Digital Economy, highlights of the interview with the OECD which took place on 3 December with Stewart Brant, Head of Transfer Pricing at the OECD and members of BDO’s Taxation of the Digital Economy taskforce, and of the views gathered to date from global...

16 December 2019

This newsletter summarises recent tax developments of international interest across the world. In this issue, read our latest insights on Taxation of the Digital Economy, which include highlights of the interview with the OECD took place on 3 December, Australia’s hybrid mismatch rules and their...

13 December 2019

This 32nd issue of BDO’s Transfer Pricing Newsletter focuses on recent developments in the field of transfer pricing on an international level and in Denmark, France, South Africa, and Sri Lanka. 

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