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Customer Service
Toll-Free Phone:
1-800-372-1033
M-F, 8:30 a.m. - 7:00 p.m. ET
(excluding most federal holidays)
Online Support Forms
Major Topics Covered
U.S. Code Sec. 482 Regulations and IRS Audit Policies
Foreign Country Transfer Pricing and Permanent Establishment Law, Regulations, and Practice
Documentation Requirements
Penalties
Court Proceedings and Decisions
OECD, EU (including helpful charts that give project status)
Competent authority
Information document requests
Third-party summonses
Advance Pricing Agreements, Cost Sharing Agreements, and Use of Joint Ventures
Transfer Pricing Report
This biweekly publication goes beyond the news, providing both U.S. and foreign practitioners' perspectives and insights, feature articles, and expert analysis on how corporations are handling complex transfer pricing challenges.
Benefits of Transfer Pricing Report:
Details major developments in foreign countries and includes translations of selected full text such as laws.
Carries exclusive interviews with U.S. and foreign government officials (including key IRS officials) discussing changing compliance and audit issues.
Offers what leading practitioners are recommending to protect against double taxation, substantive assessments, and heavy penalties.
Covers every transfer pricing and permanent establishment case filed in courts to give readers insight into various governments' audit practices.
Follows the latest on advance pricing agreement (APA) programs around the world.
Shows how leading companies have structured their pricing to comply with various government compliance and audit policies.
Formats and Frequency
Available in print and on the web.
Report issued biweekly.
NOTE: This product is a component of the BNA Tax and Accounting Center. Your 15-day Web trial to the Center includes full access, allowing you to explore all areas of tax and accounting analysis, primary sources, practice tools and more. You can find more information on the Center here.