Follow curriculum – Reading:
OECD TPG Transfer Pricing Guidelines for Multinational Enterprises and Tax Administration July 2017
Chapter II: Part 3
Scope of Work for Guidance on the Transactional Profit Split Method, page 55 |
BEPS Actions 8-10 Final Report |
Intangibles, Risks & Capital, High-Risk Transactions |
http://www.oecd.org/ctp/beps-actions.htm |
General ongoing reading as the courses advance, reading about 10 pages a week to gain an overview understanding:
An Overview of Transfer Pricing by IBFD
Start your Assignment 3 preparation now – start reading the EXTENSIVE DOCUMENTS: the pre-trial filing of Coca-cola to the US tax court, and the long list of supporting articles, and start summarizing the case using the principles in 1 Reading cases SSRN-id1160925 This may appear as a key exam question as well.
The coca-cola case pre-trial document and articles can be found here: https://iitfconnect.com/?p=675