- Canadian Supreme Court Sets up Key Principles in Transfer Pricing
In a case involving The Queen and Glaxo Smith Kline Inc. (GSK), the Supreme Court of Canada has recently released its first verdict on transfer pricing regulations by establishing certain important principles that are vital for Canadian multi-nationals.
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- Chilean Taxpayers Subject to Transfer Pricing Regulations Must Submit New Affidavit
Taxpayers carrying out transactions with related entities domiciled abroad must adhere to the new transfer pricing compliance requirements. Taxpayers are required to submit ‘Transfer Pricing Annual Information return form to the Chilean Internal Revenue Service (SII).
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- China Eases Foreign Exchange Restrictions to Encourage FDI Inflow
China’s State Administration of Foreign Exchange (SAFE) simplifies foreign exchange rules relating to foreign direct investment to attract foreign investment into China.
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- China Strengthens Data Privacy Laws
The Chinese government has recently passed a resolution intensifying data privacy laws in the country. These regulations contain significant and comprehensive requirements relevant to the collection and processing of electronic personal information.
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- China Strengthens Data Privacy Laws
The Chinese government has recently passed a resolution intensifying data privacy laws in the country. These regulations contain significant and comprehensive requirements relevant to the collection and processing of electronic personal information.
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- Computational Aero, Heat Transfer & Structures
QuEST Global invites you to an exclusive technical conference on the application of Advanced Computational Methods for Aero, Heat Transfer, and Structural Design and Analysis. This conference gives you an opportunity to collaborate with CAE experts from the industry, government and academia.
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- CORRECTING and REPLACING China’s New Foreign Exchange Rules for Share Plans
In the case of Mastek Ltd., India’s Income Tax Appellate Tribunal (ITAT) held that Mastek’s (the taxpayer) UK subsidiary was not undertaking merely marketing activities and should be classified as a distributor. (sted In the case of Mastek Ltd., India’s Income Tax Appellate Tribunal (ITAT) upheld that Mastek’s (the taxpayer) UK subsidiary was not undertaking merely distributing activities and should be classified as a marketing service provider.
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- Czech Republic Approves Austerity Measures and Amends VAT Laws
The Czech Republic government has opted for austerity measures and amendments to individual income tax, withholding tax, excise tax and VAT provisions.
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- Denmark Declares Increased Taxation for Employer-provided Free Residence
Denmark has confirmed that it will abolish some beneficial tax regulations concerning employer-provided ‘free housing’ with effect from January 1, 2013. For the purpose of taxation of a ‘free’ residence, the taxable base which was set at 98,000 DKK per year, will now be based on the residence’s market value.
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- Doing Business In Asia Pacific - A "How To" Workshop With Industry Leaders
Nair & Co, invites you to Greater Fort Lauderdale Chamber of Commerce and iConnect Event - “Doing Business In Asia Pacific - A "How To" Workshop With Industry Leaders” where Dr. Shan Nair highlights needs of business expanding or existing in Asia Pacific.
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- Dubai Reiterates Free Business Zone Rules
Dubai's Department of Economic Development has clarified that companies established in the Free Zones across the UAE, need to have a registration and license, mandatorily, in case of availing the benefits of previous laws.
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- Expanding Your Business to Chile - What are the Transfer Pricing Regulation Obligations
Taxpayers carrying out transactions with related entities domiciled abroad must adhere to the new transfer pricing compliance requirements. Taxpayers are required to submit Transfer Pricing (TP) Annual Information return form for the Chilean Internal Revenue Service (SII).
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- France Launches New Centralized Transfer Pricing Program
French Tax authorities recently launched a new transfer pricing program - Mission d’expertise juridique et économique internationale (MEJEI). This program will be jointly responsible for both Advance Pricing Arrangements (APAs) and Mutual Agreement Procedures (MAPs), reports Nair & Co.’s International Tax team
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- France Proposes Automatic Filing of Transfer Pricing Documentation
An anti-fraud and tax evasion bill was passed by the French National Assembly on June 20, 2013. If enacted it will modify the transfer pricing documentation rules finds out Nair and Co’s International Tax team.
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- France Proposes Changes to Tax Laws for Stock Options
The French government has tabled a draft finance bill, which if passed, would affect the taxes applicable to stock options and also to income from dividends.
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- Germany - Non-Resident Companies Can Obtain Tax Relief After Amendments to Anti-Treaty-Shopping Rule
The German Federal Council’s amendment of the German anti-treaty-shopping (ATS) rule no longer requires a non-German resident company to generate more than 10% of its gross revenues through its own business activities.
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- Global Transfer Pricing Services
Nair & Co’s global transfer pricing services helps your business successfully cope with a constantly varying landscape of legal precedents, regulations & local-country naunces.
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- Hungary Extends Exemptions for Transfer Pricing Documentation
Hungary has implemented changes to the transfer pricing (TP) documentation requirements extending scope of exemptions, says Nair & Co.’s International Tax Consulting Team.
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- India Announces Marketing and Related Support Services to Affiliate Abroad to Qualify as Export
In a recent ruling involving Tandus Flooring India Private Limited, the Indian Authority for Advance Ruling (AAR) declared that marketing and related support services rendered by the Indian company to its affiliate entity abroad would qualify as export and hence, not liable to Service tax.
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- India Budget 2012: Highlights
India moved to close loopholes in the country’s tax laws with the introduction of General Anti-tax Avoidance Regulations (GARR), rationalizing definitions of international transactions and introduction of many new penalties for tax avoidance, non-compliance, and unaccounted money, in its budget 2012.
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