ADVANCE PRICING AGREEMENTDecember 7th, 2016
FiledDecember 7th, 2016The Taxpayer and HMRC (collectively “The Parties”) wish to enter into an APA, and to include in it an appropriate Transfer Pricing Methodology (“TPM”) to be applied to the transactions between the Taxpayer and the related party (or parties) identified below.
ADVANCE PRICING AGREEMENTNovember 7th, 2016
FiledNovember 7th, 2016The Taxpayer and HMRC (collectively “The Parties”) wish to enter into an APA, and to include in it an appropriate Transfer Pricing Methodology (“TPM”) to be applied to the transactions between the Taxpayer and the related party (or parties) identified below.