Recent developments in the transfer pricing arena include: published responses to the OECD’s Revised discussion draft on transfer pricing aspects of intangibles in July; a new French law requiring companies to report transfer pricing information within six months after filing the annual tax return; and new guidance on Russian transfer pricing compliance.
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Recent developments in the transfer pricing arena include: published responses to the OECD’s Revised discussion draft on transfer pricing aspects of intangibles in July; a new French law requiring companies to report transfer pricing information within six months after filing the annual tax return; and new guidance on Russian transfer pricing compliance.
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