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The United States led the development of detailed, comprehensive transfer pricing guidelines with a White Paper in 1988 and proposals in 1990–1992, which ultimately became regulations in 1994. [33] In 1995, the OECD issued its transfer pricing guidelines which it expanded in 1996 and 2010. [ 34 ]
Govt to set up a high-level Committee to interact with industry to bring about changes in tax laws if required; FM Proposes to enhance the scope of income tax settlement commission. Govt proposes to strengthen authority for advance ruling in tax, set up more benches; Transfer pricing regulations for residents and non-residents being done
Institute of Chartered Accountants of India: 1-May-1949: Financial system and monetary policy: Reserve Bank of India: 01-Apr-1935: Mining and Mineral Exploration: Directorate General of Mines Safety(DGMS) 07-Jan-1902: Food Safety: Food Safety and Standards Authority of India: Aug-2011: Security Market: Securities and Exchange Board of India: 12 ...
National Capital Territory of Delhi Laws (Special Provisions) Act: 2007: 43 Tyre Corporation of India Limited (Disinvestment Of Ownership) Act: 2007: 50 Payment and Settlement Systems Act: 2007: 51 Indira Gandhi National Tribal University Act: 2007: 52 Sashastra Seema Bal Act: 2007: 53 Rajiv Gandhi Institute of Petroleum Technology Act: 2007: ...
Growing and manufacturing tea in India: 40%: 60% Sale of latex, latex-based crepe or brown crepe manufactured from field latex or coalgum obtained from rubber plants grown by a seller in India: 35%: 65% Sale of coffee grown and cured by an Indian seller: 25%: 75% Sale of coffee grown, cured, roasted and ground by an Indian seller: 40%: 60%
In 2015, the G20 supported the transfer pricing recommendations, which aims to guide governments on how profits of multinational companies should be divided among individual countries. Furthermore, the G20 is involved in developing a global tax framework.
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Whereas appropriate transfer pricing of tangible goods can be established by comparison with prices charged for similar goods to unrelated parties, transfer pricing of intangible goods, products of intellectual efforts, rarely has comparable equivalents. Transfer prices then have to be established based on expectations of future income. [16]