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EY Global Tax Controversy Flash Newsletter (Issue 27) | Managing transfer pricing risk in a rapidly changing environment

13 October 2020

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Tax Alerts, National/Federal Taxation, Transfer Pricing, OECD, Group of Seven, United Nations, Gulf Cooperation Council, International Monetary Fund, Group of Twenty, Global

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United States, Albania, Andorra, Angola, Argentina, Australia, Austria, Bahamas, Bahrain, Bangladesh, Barbados, Belgium, Bolivia, Botswana, Brazil + 133 more

In today’s world, economic conditions and government responses, including tax policies, are evolving at a fast pace. Increasing revenue pressures and the focus on transparency mean multinational enterprises can be subject to robust transfer pricing audits — and transfer pricing controversy continues to be one of the hot topics in international tax law. To manage these risks, companies need a nimble transfer pricing management strategy to align with shifting business models, markets, product lines and tax authority priorities. Read this EY article for tips on how to implement such a strategy. Also, listen to our EMEIA transfer pricing controversy webcast focused...