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Searching Content indexed under Transfer Pricing by C.Savva & Associates Ltd ordered by Published Date Descending.
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1
Substance – From Corporate Tax Perspective And Other Factors
Substance is vital when it comes to the tax residency of companies and their management and control aspect.
Cyprus
4 Nov 2019
2
A Summary Of Transfer Pricing (TP) Guidelines
Further to our newsletter of March 2018 we are now reverting with the second part for the summary of the transfer pricing guidelines as these are in place since July 2017.
Cyprus
4 Jul 2018
3
A Summary Of Transfer Pricing Guidelines
As from July 2017, transactions between related parties are reviewed under Transfer Pricing Guidelines in order to identify the tax treatment and compute any tax amounts.
Cyprus
12 Apr 2018
4
New Guidance On The Tax Treatment Of Intra-Group Back To Back Financing Arrangements
On 30 June 2017, the Cyprus Tax Department published an interpretative Circular which sets out the guidelines to be followed in regards to the taxation of intra-group back-to-back financing arrangements.
Cyprus
7 Jul 2017
5
Saying Goodbye To Back To Back Loans And Welcoming Transfer Pricing Regulations
In February 2017 Cyprus Tax Department has announced that the current practice regarding profit margins between related Company loans will be abolished by the 30th June 2017.
Cyprus
21 Jun 2017
6
Cyprus Committed To Country By Country ("CbC") Reporting
On 1 November 2016, Cyprus signed the Multilateral Competent Authority Agreement on Country-by-Country Reporting joining other member states of the OECD, in their commitment to increase corporate accountability and transparency . . .
Cyprus
15 Feb 2017
7
Cyprus In Favour Of Country-By-Country Reporting
The necessary amendments to the domestic law of Cyprus are expected to be made in line with the draft EU directive amending EU directive 2011/16/EU on administration cooperation in the field of taxation...
Cyprus
17 Jun 2016
8
OECD Releases New Measures For Implementation Of A BEPS Country By Country Reporting Plan
On June 8th 2015, the OECD released a new package of measures for the implementation of a new Country-by-Country (CbC) reporting plan developed under the OECD/G20 Action Plan on Base Erosion and Profit Shifting (BEPS) Project, aimed at improving transparency in international tax matters.
Cyprus
2 Jul 2015
9
EC Investigates Transfer Pricing Arrangements On Corporate Taxation In Luxembourg And Ireland
Recently, the European Commission (EC) has published two main decisions taken last June to undergo investigations into transfer pricing arrangements on corporate taxation of Apple in Ireland and Fiat Finance and Trade in Luxembourg.
European Union
11 Dec 2014
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