Dr. Daniel N. Erasmus - Leading Expert in Tax Law Global Tax Dispute Resolution by TRM Team
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    Dr. Daniel N. Erasmus - Leading Expert in Tax Law Global Tax Dispute Resolution by TRM Team
    Dr. Daniel N. Erasmus - Leading Expert in Tax Law Global Tax Dispute Resolution by TRM Team
    • Home
    • about.us
    • our.services
      • global.footprint
        • african.tax.law
          • kenya.tax.law
          • malawi.tax.law
          • mauritius.tax.law
          • nigeria.tax.law
          • rsa.tax.law
          • tanzania.tax.law
          • zimbabwe.tax.law
        • eu.tax.law
          • eu.transfer.pricing
        • usa.tax.law
          • 2025 USA Transfer Pricing Guide
          • usa.transfer.pricing
    • our.methodology
    • our.clients
    • associations
      • I/I/T/F Academy of Tax law
    • contact.us

    Category: Europe

    Czech Republic vs RR Donnelley Transfer Pricing Case

    The case Czech Republic vs. RR Donnelley Czech s.r.o. revolved around a transfer pricing dispute concerning the application of Section 23(7) of the Cz…
    Dr Daniel N. Erasmus 6 March 2025

    UK vs Royal Bank of Canada: International Tax Case

    This case examines whether payments received by the Royal Bank of Canada (RBC) under an oil exploration agreement were subject to UK taxation. The cor…
    Dr Daniel N. Erasmus 4 March 2025

    France vs SAS Roger Vivier: TRANSFER PRICING CASE

    The judgment revolves around a tax dispute between SAS Roger Vivier Paris, a distributor of luxury goods, and the French tax authorities. The core iss…
    Dr Daniel N. Erasmus 27 January 2025

    Sweden vs “CA AB”: TRANSFER PRICING CASE

    The case at hand concerns a dispute under the Nordic Tax Convention, a treaty aimed at avoiding double taxation among its signatories. The applicant, …
    Dr Daniel N. Erasmus 21 January 2025

    Denmark vs Accenture: Transfer Pricing Case

    The Danish Supreme Court rendered its decision in the case of Accenture A/S v. Danish Ministry of Taxation, upholding the lower court’s judgment. Th…
    Dr Daniel N. Erasmus 16 January 2025

    Spain Enacts Global Minimum Tax Law: Implications for Multinationals

    Spain has officially enacted its Global Minimum Tax Law, aligning with the OECD's Pillar Two framework to ensure large multinational enterprises (MNEs…
    Dr Daniel N. Erasmus 15 January 2025

    Poland vs Bedding Textiles: TRANSFER PRICING CASE

    The case involves a dispute between N Sp. z o.o. ("the Company"), a Polish textile manufacturer, and the Director of the Tax Administration Chamber in…
    Dr Daniel N. Erasmus 15 January 2025

    France vs Foncière Vélizy Rose: TRANSFER PRICING CASE

    The Council of State reviewed an appeal by Foncière Vélizy Rose (FVR) regarding the withholding tax on an interim dividend of EUR 3.6 million distri…
    Dr Daniel N. Erasmus 14 January 2025

    UK vs Glencore Energy: Transfer Pricing Case

    This case examines the boundaries of judicial review in tax disputes involving the Diverted Profits Tax (DPT), a tax introduced by the Finance Act 201…
    Dr Daniel N. Erasmus 27 November 2024

    UK vs REFINITIV AND OTHERS (Thomson Reuters): Transfer Pricing Case

    The Court of Appeal’s decision in Refinitiv v HMRC is a defining moment in the intersection of transfer pricing and Diverted Profits Tax (DPT). The …
    Dr Daniel N. Erasmus 26 November 2024
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    Recent Posts

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    • Mastering Transfer Pricing Litigation: A Strategic Imperative for Multinational Enterprises 28 March 2025
    • 2025 Transfer Pricing Postgraduate Programmes: A Strategic Investment for MNEs and Revenue Authorities 24 March 2025
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    • 2025 USA Transfer Pricing Guide: Navigating the Latest Developments and Compliance Strategies 18 March 2025
    • Mechanics of Tax Risk Management: A Strategic Imperative for Multinationals and Revenue Authorities 17 March 2025

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