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TRANSFER PRICING


Rosemary Blundell, National Tax Director, and Colin Copeland, Tax Director at Mazars LLP, examine FIN 48 and what it means for US-parented groups

David Nickson, Tax Partner, KPMG LLP, comments on the Government's attempts to solve the problem of UK plc's competitiveness

Steve Edge, Slaughter and May, looks at the consequences of HMRC's recent press release on a breach of the financial covenants set by an Advance Thin Capitalisation Agreement

Sara Luder of Slaughter and May looks at the implications for the UK of the decision taken by Shire plc to introduce a new non-UK-tax-resident holding company

Simon Wilks, partner at PricewaterhouseCoopers LLP, explores the Finance Bill and the 'information and inspection powers' contained within it

Cleft SA's UK expansion benefits from Belgian tax breaks

Martin Rybak and Jo Myers, both Senior Consultants on Ernst & Young's Transfer Pricing team within International Tax Services, assess HMRC's developing approach to intra-group financing arrangements

Steve Edge, Slaughter & May, comments on the dog that did not bark in the Budget speech, namely the ongoing consultation about the UK's multinational tax regime

Michael Everett, International Corporate Tax Director at KPMG in the UK, discusses how to navigate the proposed 2008 revisions to the tonnage tax regime

Ken Almand, Senior Transfer Pricing Consultant, Ernst & Young Transfer Pricing Group, summarises the key findings from Ernst & Young's biennial transfer pricing survey with particular focus on the UK

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