Transfer pricing – the head-cracker of Luxembourg tax advisers in the future?
Unfortunately, I believe that the reply to the question I asked myself is: “Yes”. While the focus in Luxembourg currently is the transfer pricing circular for intra-group financing in its new version dated 27 December 2016, I think that the large wording of Article 56bis of Luxembourg Income Tax Law – which is by no way restricted to group financing, … Continue reading Transfer pricing – the head-cracker of Luxembourg tax advisers in the future?
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