Monday, January 11, 2016
On 11 January 2016 the European Commission (EC) issued a press release declaring the Belgian “excess profit” tax scheme to be illegal under EU state aid rules. On this basis, an estimated €700m of unpaid taxes is to be recovered from approximately…Read More
Wednesday, December 02, 2015
Aspect Advisory is proud to recently be announced as the winner of Best in Global Transfer Pricing, Switzerland by Corporate LiveWire in their prestigious 2016 Finance Awards program.
Sponsored by the UK Business Circle, the awards program selects winners based on…Read More
Sunday, November 01, 2015
Aspect Advisory has been included in the third edition of World Transfer Pricing (2016): The Comprehensive Guide to the World’s Leading Transfer Pricing Firms released by International Tax Review (via TP Week) on 22 October 2015.
The third release of this global…Read More
Thursday, May 21, 2015
21 May 2015: We are please to be awarded Transfer Pricing Experts of the Year, Switzerland, by Acquisition International’s 2015 M&A Awards program.
“We are thrilled to continue to be recognized by this awards program as a leader in the provision of transfer pricing services in the European market” says Cherie…Read More
Saturday, May 16, 2015
May 2015: TP Services, an award-winning boutique transfer pricing firm based in Zurich, is now known as ASPECT ADVISORY and has launched with a new brand and focus.
Aspect Advisory provides transfer pricing compliance services to multinational organization around the world, as well as to their tax, legal, accounting and international business advisory…Read More
Sunday, May 10, 2015
A Norwegian company that failed to give local tax authorities a satisfactory answer for its prices for natural gas sold to a foreign related party will now be facing punitive taxes in a controversial transfer pricing case which involved “secret comparables”.
Tax authorities are often privy to confidential information about pricing…Read More
Wednesday, April 29, 2015
Extract from OECD website:
Public comments are invited on a discussion draft which deals with work in relation to Action 8 of the Action Plan on Base Erosion and Profit Shifting (BEPS).
Action 8 (“Assure that transfer pricing outcomes are in line with value creation: Intangibles”) requires the development of “rules to…Read More
Thursday, March 19, 2015
On 18 March 2015, the government of Spain introduced additional requirements to its transfer pricing legislation. These new regulations are essentially derived from the Organization for Economic Co-operation and Development’s (OECD’s) recent Base Erosion and Profit Shifting (BEPS) project, which focuses on transfer pricing documentation issues (among other matters).
These new…Read More
Thursday, July 24, 2014
Extract from IRS website: The Transfer Pricing Operations (TPO) of the Large Business and International (LB&I) division of IRS has released the Transfer Pricing Audit Roadmap to the public. The Transfer Pricing Audit Roadmap (Roadmap) is a practical, user-friendly toolkit organized around a notional 24 month audit time-line.
The Roadmap…Read More
Wednesday, July 16, 2014
The Czech General Financial Directorate has introduced a new annex to be attached to companies’ tax returns outlining certain reporting of related party transactions. The annex is required as of fiscal year 2014.
The annex will be mandatory for companies that meet certain audit threshold criteria – assets in excess of CZK 40…Read More