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Insights from HMRC’s Transfer Pricing and Diverted Profits Tax statistics
In this blog, we summarise the key findings from HMRC's Transfer Pricing and Diverted Profits Tax statistics 2023 to 2024...
Sarah is a Director in the tax consulting team who joined Price Bailey from EY in 2019. She has 11 years of tax experience and is a Chartered Accountant and Chartered Tax Advisor.
Sarah is a corporate and international tax specialist, advising a broad range of clients across a number of sectors.
Featured in Financier Worldwide Magazine’s global transfer pricing review.
When she’s not reading up on the latest tax developments, Sarah enjoys spending time with her young family.
In this blog, we summarise the key findings from HMRC's Transfer Pricing and Diverted Profits Tax statistics 2023 to 2024...
Following HMRC's consultation on lowering the threshold for exemption from the UK’s transfer pricing rules, if the changes are implemented as proposed, medium sized businesses must comply with the transfer pricing rules; this may mean introducing charges between companies, or revising those currently in place. Read more here...
Learn about the complexities of transfer pricing for financial transactions, including loans and treasury activities, and how to mitigate tax authority challenges.
The landmark case of Canada V. GlaxoSmithKline Inc (2010) offers valuable insights into how tax authorities approach pricing arrangements between related parties and the commercial rationale behind these transactions. Read more in our case review...
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