Navigation Menu

Poll

Which industry is most targetted for TP by the authorities?

Pharmaceutical
32%
Hi-Tech
23%
Automotive
16%
Financial Services
30%
Telecommunications
0%


View previous poll results

Skip to Navigation menu Skip to top of page

Czech court gives verdict on methodology

February 23, 2010

A case that has just been decided in the Czech Supreme Administrative Court (SAC) provides an important discussion on transfer pricing methodology in disputes with the tax authorities in the context of the Czech tax law.

In particular, case number 80 Afs 80/2007 – 105 addresses to what extent a range of comparable data should be used to determine an arm’s-length price. Although the case deals with a transaction between individuals and SAC cases are not legal precedents, it is still widely applicable to a number of other taxpayers and corporate transactions.

Free Trial

Sorry. You must be a subscriber to view this article. Alternatively, why not take a free trial? To subscribe and access this article immediately simply click here or call +44(0)207 779 8380.


Email:
Password:

Remember me?
Forgot your password?