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
    Sign in
    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

    Tag: resale price method

    Kenya vs Avic International: TRANSFER PRICING CASE

    The Tax Appeals Tribunal in Kenya ruled on the case involving AVIC International Beijing (EA) Limited (Appellant) and the Commissioner of Domestic Tax…
    Dr Daniel N. Erasmus 20 January 2025

    The Resale Price Method in Major Transfer Pricing Cases

    Transfer pricing continues to be a critical issue for multinational corporations. The resale price method (RPM) plays a significant role in many high-…
    Dr Daniel N. Erasmus 10 July 2024

    Understanding the Profit Split Method (PSM) in Transfer Pricing

    The Profit Split Method in Transfer Pricing is a crucial approach used to ensure that transactions between related companies are conducted at arm's le…
    Dr Daniel N. Erasmus 8 July 2024

    Understanding the Transactional Net Margin Method (TNMM) in Transfer Pricing

    The Transactional Net Margin Method (TNMM) is a pivotal tool in transfer pricing, used to ensure that transactions between associated enterprises are …
    Dr Daniel N. Erasmus 8 July 2024

    The Cost Plus Method in Transfer Pricing

    The Cost Plus Method is a widely used approach in transfer pricing for determining arm's length prices between related entities. This method is partic…
    Dr Daniel N. Erasmus 8 July 2024

    Understanding the Resale Price Method in Transfer Pricing

    The Resale Price Method in Transfer Pricing is a fundamental approach used by multinational enterprises (MNEs) to ensure compliance with international…
    Dr Daniel N. Erasmus 7 July 2024

    Eaton Corporation vs. IRS: Transfer Pricing Dispute

    Eaton Corporation, a global manufacturer of electrical and industrial products, faced significant tax disputes with the IRS regarding its transfer pri…
    Dr Daniel N. Erasmus 25 August 2022

    Ferragamo France Transfer Pricing Case: Key Lessons for Luxury Brands

    The Ferragamo France transfer pricing case offers valuable insights for luxury goods companies. This landmark ruling highlights the complexities of tr…
    Dr Daniel N. Erasmus 30 June 2022

    Coca-Cola vs. IRS: Landmark Transfer Pricing Dispute

    The Coca-Cola transfer pricing dispute is a landmark case between The Coca-Cola Company (TCCC) and the Internal Revenue Service (IRS). The case center…
    Dr Daniel N. Erasmus 18 November 2020

    GlaxoSmithKline vs Canada: Transfer Pricing Case

    he GlaxoSmithKline transfer pricing case was a landmark decision in Canadian tax law. It involved GSK's Canadian subsidiary and the Canada Revenue Age…
    Dr Daniel N. Erasmus 18 October 2012

    Recent Posts

    • Project AmaBillions – A New Project by the South African Revenue Service to collect an additional ZAR 75 Billion! 9 May 2025
    • 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
    • Treatment of Tax Transparent Entities Under Pillar Two: Implications for Multinationals and Revenue Authorities 24 March 2025
    • 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

    ARTICLE ARCHIVES

    ARTICLE CATEGORIES

    • Terms & Conditions
    • Privacy Policy
    • Contact Us
    © 2025 - TaxRiskManagement.com
    Manage Cookie Consent
    To provide the best experiences, we use technologies like cookies to store and/or access device information. Consenting to these technologies will allow us to process data such as browsing behavior or unique IDs on this site. Not consenting or withdrawing consent, may adversely affect certain features and functions.
    Functional Always active
    The technical storage or access is strictly necessary for the legitimate purpose of enabling the use of a specific service explicitly requested by the subscriber or user, or for the sole purpose of carrying out the transmission of a communication over an electronic communications network.
    Preferences
    The technical storage or access is necessary for the legitimate purpose of storing preferences that are not requested by the subscriber or user.
    Statistics
    The technical storage or access that is used exclusively for statistical purposes. The technical storage or access that is used exclusively for anonymous statistical purposes. Without a subpoena, voluntary compliance on the part of your Internet Service Provider, or additional records from a third party, information stored or retrieved for this purpose alone cannot usually be used to identify you.
    Marketing
    The technical storage or access is required to create user profiles to send advertising, or to track the user on a website or across several websites for similar marketing purposes.
    Manage options Manage services Manage {vendor_count} vendors Read more about these purposes
    View preferences
    {title} {title} {title}