Israel Issues Circular Clarifying Burden of Proof in Transfer Pricing
The Israeli Tax Authority (ITA) has issued Circular 1/2020 of 2 June 2020 concerning the burden of proof and documentation requirements in transfer pricing audits. Under Section 85A of the Israeli Income Tax Ordinance (ITO), taxpayers are required to submit transfer pricing documentation and supporting information within 60 days of request by the ITA. This is typically submitted as a transfer p…
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