EY Transfer Pricing Roundup cover art

All Episodes

EY Transfer Pricing Roundup — 72 episodes

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Title
1

Episode 72: Perrigo v. United States: Court Rejects Government's Blanket Assertion of Lack of Economic Substance and Hindsight in Transfer Pricing

2

Episode 71: Tax Controversy in France: Insights for Multinational Businesses

3

Episode 70: Understanding the OECD Consultation on Intra-Group Services: Insights and more from the OECD

4

Episode 69: UK Transfer Pricing Update: HMRC Statistics and Enforcement Trends

5

Episode 68: IRAS Transfer Pricing Update – Version 8.0

6

Episode 67: Brazil Transfer Pricing Update: Insights from the first year of Arm's Length Transfer Pricing

7

Episode 66: Navigating Canada's Transformative Transfer Pricing Reforms

8

Episode 65: A transfer pricing postcard from Australia

9

Episode 64: Transfer Pricing Compliance x Technology – where are we at and where are we going?

10

Episode 63: Transfer Pricing and Pillar Two – Strategic Considerations for MNEs

11

Episode 62: An Advance Pricing Agreement Special

12

Episode 61: Navigating Transfer Pricing in a Tariff-focused World: Strategic Implications and Compliance Challenges

13

Episode 60: Dutch Financial Transaction Transfer Pricing update

14

Episode 59: An introduction to Artificial Intelligence for transfer pricing

15

Episode 58: The impact of Artificial Intelligence on Life Sciences Transfer Pricing

16

Episode 57: US Advance Pricing Agreement statistic update

17

Episode 56: Recap on recent US / India Advance Pricing Agreements

18

Episode 55: What's going on with Amount B?

19

Episode 54: An Australia Transfer Pricing Update

20

Episode 53: Navigating UK Transfer Pricing Updates

21

Episode 52: The continued rise of Advance Pricing Agreements and Mutual Agreement Procedures

22

Episode 51: New German Transfer Pricing Administrative Principles

23

Episode 50: Brazil Transfer Pricing update

24

Episode 49: An introduction to the Economic Substance Doctrine

25

Episode 48: Decoding the IRS Priority Guidance Plan: What You Need to Know!

26

Episode 47: Transfer Pricing updates in Saudi Arabia

27

Episode 46: Intercompany Effectiveness Mini-Series: Part III

28

Episode 45: Intercompany Effectiveness Mini-Series: Part II

29

Episode 44: Intercompany Effectiveness Mini-Series: Part I

30

Episode 43: Help with common risks in transfer pricing approaches

31

Episode 42: A public CBCR announcement

32

Episode 41: Update on IRS transfer pricing compliance letters

33

Episode 40: Singapore Transfer Pricing update

34

Episode 39: Q&A session with IRS APMA Director, John Wall, Episode 1

35

Episode 38: Pillar One: Is it still standing?

36

Episode 37: Amount A: A need to Know

37

Episode 36: Swiss Transfer Pricing: Latest Updates and Insights

38

Episode 35: Understanding EOI: Navigating Information Exchanges with the IRS

39

Episode 34: Pillar One Focus: Amount B Updates

40

Episode 33: Navigating Japan's Tax and Transfer Pricing Landscape

41

Episode 32: From Stats to Strategy: Leveraging Insights from The 2023 IRS Annual APA Report

42

Episode 31: A new approach to International Tax Compliance: A Closer Look at ICAP with the IRS

43

Episode 30: Asset Management special – the connection between Italy's IME and transfer pricing

44

Episode 29: Unraveling the Complexity of Transfer Pricing Rules in China

45

Episode 28: Rethinking MAP in today's Transfer Pricing environment

46

Episode 27: Navigating the Audit Process for Transfer Pricing in Mexico: Tips and Strategies

47

Episode 26: Navigating Transfer Pricing and Dispute Resolution: Insights from the 2022 Mutual Agreement Procedure Statistics

48

Episode 25: Unpacking Transfer Pricing Controversy in Australia: Insights on recent developments from EY

49

Episode 24: The Intricacies of Implicit Support in Transfer Pricing

50

Episode 23: The interplay between transfer pricing and technology

51

Episode 22: Part III: The Latest Intellectual Property Alignment and Transfer Pricing considerations

52

Episode 20: Part I: The Latest Intellectual Property Alignment and Transfer Pricing considerations

53

Episode 21: Part II: The Latest Intellectual Property Alignment and Transfer Pricing considerations

54

Episode 19: Transfer Pricing developments in the Life Sciences and MedTech Industry

55

Episode 18: Recent Transfer Pricing audit trends in the United Kingdom

56

Episode 17: Understanding the role of country-by-country reporting in a Pillar Two world

57

Episode 16: Administrative Transfer Pricing Principles issued by the German Ministry of Finance

58

Episode 15: History of Transfer Pricing disputes in Latin America

59

Episode 14: Recent European Union Tax Directives

60

Episode 13: Brazil releases Normative Instruction on new transfer pricing rules

61

Episode 12: Transfer Pricing Tax and Controversy updates

62

Episode 11: Transfer Pricing Developments in Ireland

63

Episode 10: UK Transfer Pricing Records Publication

64

Episode 9: Brazil Transfer Pricing updates

65

Episode 8: Canada Transfer Pricing updates

66

Episode 7: Australia Transfer Pricing updates - Part III

67

Episode 6: Australia Transfer Pricing updates - Part II

68

Episode 5: Australia Transfer Pricing updates - Part I

69

Episode 4: IRS Releases Advance Pricing Agreement Interim Guidance

70

Episode 3: IRS issues Advance Pricing Agreement (APA) report

71

Episode 2: United Kingdom transfer pricing update

72

Episode 1: Update on US India Competent Authority discussions