The complexities surrounding international corporate taxation and business transfer pricing are becoming more challenging, even for the most well-versed practitioners.
Tax authorities worldwide are placing greater scrutiny on the tax practices of multinational corporations, constantly refining their approach to identifying and assessing international taxation risks.
Of particular focus are corporate transfer pricing arrangements involving the transfer of goods, services, intellectual property, and financing transactions.
Access over 190 million company financials, including over 47 million private companies with detailed financials available in IFRS, local GAAP and global standardized formats, reaching back over 20 years.
Gain access to detailed information on more than 158 million patents and intellectual property worldwide, as well as over 70,000 royalty rate arrangements and innovation strength indicators.
Over 1.9 billion ownership links provide access to extensive global ownership data, shareholding, and subsidiary information covering corporate, beneficial, and historical owners and directors.
Mergers and acquisition data including M&A, equity, initial public offering, venture-capital and private-equity activities, along with foreign direct investment profiles.
Access over 190 million company financials, including over 47 million private companies with detailed financials available in IFRS, local GAAP and global standardized formats, reaching back over 20 years.
Gain access to detailed information on more than 158 million patents and intellectual property worldwide, as well as over 70,000 royalty rate arrangements and innovation strength indicators.
Over 1.9 billion ownership links provide access to extensive global ownership data, shareholding, and subsidiary information covering corporate, beneficial, and historical owners and directors.
Mergers and acquisition data including M&A, equity, initial public offering, venture-capital and private-equity activities, along with foreign direct investment profiles.
With increasing rigor from tax authorities and a changing tax landscape, the importance of effectively managing tax and transfer pricing risks has never been greater. Embracing quality third-party data and analytics can help you accomplish the following objectives:
Globalization and the digitization of the economy over the past 10 years have seen large amounts of corporate tax being lost by tax administrations.
The realm of transfer pricing is in a constant state of flux, continually adapting to changing regulations and market conditions.
One of the most common transactions in a multinational company is intercompany lending, with multinationals using loans to fund group entities and move cash to where it is needed most.
The Organization for Economic Co-operation and Development (OECD) defines the international tax and transfer pricing rules and regulations that are adopted by its member countries globally.
The growing complexity of worldwide transfer pricing rules continues to present a three-dimensional challenge for multinational companies ("MNCs") with respect to documentation requirements, transparency initiatives and audits.
The Organization for Economic Co-operation and Development (OECD) released a new report on Pillar One – Amount B on 19 February 2024 as part of the OECD/G20’s Base Erosion and Profit Shifting (BEPS) project.
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