Historical archive of newsletter and communications on transfer prices, documentation obligations and taxation of related-party transactions

Newsletter 1/2019

BEPS 2.0: looking for new tax rules for the Digital Economy The debate on the rules of imputation of profits of the new business models

Continue reading»

Newsletter 2/2019

The Spanish National Court rejects to automatically adjust to the median of the arm’s length range In its judgement of 6 March 2019, the National Court

Continue reading»

Newsletter 3/2019

The United States and Spain include an Arbitration Procedure in the amendment of the Double Tax Treaty On 27 November 2019, the 2013 Protocol amending the 1990 Double

Continue reading»
This site is registered on as a development site.