Transfer Pricing. All transactions or arrangements made by the Company have been made on fully arm’s length terms. There are no circumstances in which Part 4 of TIOPA 2010 or any other rule or provision could apply causing any Tax Authority to make an adjustment to the terms on which such transaction or arrangement is treated as being made for Tax purposes.
Appears in 2 contracts
Samples: Share Purchase Agreement (Onfolio Holdings, Inc), Share Purchase Agreement (Future FinTech Group Inc.)
Transfer Pricing. All transactions or arrangements made by the Company have been made on fully arm’s 's length terms. There are no circumstances in which Part 4 of TIOPA 2010 or any other rule or provision could apply causing any Tax Authority to make an adjustment to the terms on which such transaction or arrangement is treated as being made for Tax purposes.
Appears in 1 contract
Samples: Share Purchase Agreement
Transfer Pricing. 11.1 All transactions or arrangements made by the Company have been made on fully arm’s length terms. There In so far as the Sellers are aware, there are no circumstances in which Part 4 of TIOPA 2010 or any other rule or provision could apply causing any Tax Taxation Authority to make an adjustment to the terms on which such transaction or arrangement is treated as being made for Tax Taxation purposes.
Appears in 1 contract
Samples: Share Purchase Agreement (Interlink Electronics Inc)
Transfer Pricing. All transactions or arrangements made by the Company or any Subsidiary have been made on fully arm’s length terms. There are no circumstances in which Part 4 of TIOPA 2010 or any other rule or provision could apply causing any Tax Authority to make applies resulting in an adjustment to the terms on which such transaction or arrangement is treated as being made for Tax Taxation purposes.
Appears in 1 contract
Samples: Share Purchase Agreement (Bright Horizons Family Solutions Inc.)
Transfer Pricing. All transactions or arrangements made by the Company have has been made on fully arm’s 's length terms. There are no circumstances in which Part 4 of TIOPA 2010 or any other rule or provision could apply causing any Tax Authority to make an adjustment to the terms on which such transaction or arrangement is treated as being made for Tax purposes.
Appears in 1 contract
Samples: Share Purchase Agreement (Concierge Technologies Inc)