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
      • Prof Dr Daniel N Erasmus
    • 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: Tax Risk Management

    Q&A: BEPS 2.0 Developments: Impact on International Tax Trends | Pillar One & Pillar Two Explained

    QUESTION: In terms of the latest developments (eg. BEPS 2.0), what are some things that we should bear in mind and how are they expected to impact int…
    Dr Daniel N. Erasmus 12 October 2024

    Q&A: UN Model vs OECD Model Treaty: Key Differences in Taxation for Developing Countries

    QUESTION: UN Model vs OECD Model Treaty: Key Differences in Taxation for Developing Countries
    Dr Daniel N. Erasmus 12 October 2024

    Q&A: How Brexit Impacted UK-EU Tax and Legal Relations: VAT, Customs, and Directives

    QUESTION: How did Brexit impact the legal and tax implications between the UK and the European Union?
    Dr Daniel N. Erasmus 12 October 2024

    Q&A: Navigating International Tax Without a Double Tax Treaty: FATCA, BEPS, and Transfer Pricing

    QUESTION: What happens if a country (eg Hong Kong) doesn’t have a double tax treaty with the US, but does have an exchange of information agreement …
    Dr Daniel N. Erasmus 12 October 2024

    Q&A: Common Law vs Civil Law: Key Differences in International Taxation Explained

    QUESTION: I am from Hong Kong, a common law jurisdiction. What do I need to know about civil law jurisdictions to understand the difference in the app…
    Dr Daniel N. Erasmus 12 October 2024

    Emerging Transfer Pricing Trends in Africa: Insights from Dr. Daniel Erasmus at the 13th Annual Africa TP Summit

    In this insightful address at the 13th Annual Africa Transfer Pricing Summit, Dr. Daniel N Erasmus explores the most pressing trends in transfer prici…
    Dr Daniel N. Erasmus 10 October 2024

    Permanent Establishments and Managing International Tax Risks: Insights from Key Cases

    The concept of a Permanent Establishment (PE) is central to international taxation and transfer pricing. When multinational enterprises (MNEs) conduct…
    Dr Daniel N. Erasmus 8 October 2024

    Understanding the Comparable Profit Method (CPM) in Transfer Pricing

    The Comparable Profit Method (CPM) is a widely used approach in transfer pricing, employed to ensure that transactions between related entities (often…
    Dr Daniel N. Erasmus 7 October 2024

    X BV v Staatssecretaris van Financiën (Case C-585/22): Preventing Tax Fraud Through Arm’s Length Scrutiny

    This case focuses on whether the Netherlands' national tax law, which restricts the deduction of interest paid on intra-group loans in certain scenari…
    Dr Daniel N. Erasmus 6 October 2024

    F SCS vs LUXEMBOURG: Safeguarding Lawyer-Client Confidentiality in Cross-Border Tax Inquiries

    This case focuses on whether the Netherlands' national tax law, which restricts the deduction of interest paid on intra-group loans in certain scenari…
    Dr Daniel N. Erasmus 30 September 2024
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    Recent Posts

    • SARS Verification Audit Reversed After Section 11 TAA Notice 7 May 2026
    • The Hidden Risk in B-BBEE Deductions: Why Large Corporations in South Africa Should Be Concerned 6 March 2026
    • 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

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