Transfer Pricing Report

The Transfer Pricing Report™ provides news and analysis on U.S. and international governments’ tax policies regarding intercompany transfer pricing. The Report helps companies structure their operations to ensure compliance, while avoiding double taxation.



Expert News & Commentary

Keep up to date on the most recent transfer pricing developments in U.S. courts, at the IRS, in Congress, and around the world. Trust Bloomberg BNA’s team of highly skilled and respected reporters and editors to deliver the critical details of today’s most pressing transfer pricing issues.

Trusted Analysis

Leverage the knowledge and wisdom of transfer pricing experts and thought leaders --BNA Insights articles provide thorough analysis and unique perspectives on both country and international-level legal, standardization, and judicial developments.

Topics Covered

Transfer Pricing Topics
  • Advance Pricing Agreements, Cost Sharing Agreements, and Use of Joint Ventures
  • Competent Authorities
  • Court Proceedings and Decisions
  • Documentation Requirements
  • European Union
  • Foreign Country Transfer Pricing
  • Information Document Requests
  • Intangible Assets
  • Intercompany Services
  • Organization for Economic Cooperation and Development
  • Permanent Establishment Law, Regulations, and Practice
  • Pricing Methods
  • Third-Party Summonses
  • U.S. Code Sec. 482 Regulations and IRS Audit Policies
  • European Union
  • Internal Revenue Service
  • International Chamber of Commerce
  • International Fiscal Association
  • Organization for Economic Cooperation and Development
  • Securities & Exchange Commission
  • United Nations
  • World Bank