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Transfer pricing dispute

Client

  • An international multinational

Date

  • 31 May 2011

Advised an international multinational on a R1.7 billion thin capitalisation, transfer pricing dispute. Ground-breaking resolution achieved - including a change in SA Revenue Service practice on “safe haven” - 3 to 1 debt equity ratio rule and a change in section 31 transfer pricing legislation – arising from our successful representations. Settled successfully without any tax payment by client.

Local expertise

Global expertise

Tax