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Photographer: Jens Kalaene/picture alliance via Getty Images PrintEmail Share To:Facebook LinkedIn March 8, 2024, 10:45 AM GMT+1 OECD TRANSFER PRICING RULES UNDERCUT DEVELOPING COUNTRY BENEFITS By Lauren Vella Lauren Vella Reporter * Amount B report includes political commitment * But agreement can be undone by small caveat An OECD framework meant to simplify transfer pricing for some business transactions may take the teeth out of its benefit for so-called low-capacity jurisdictions, according to tax specialists. The optional framework, known as Amount B, was detailed in a February OECD report as a way to help low-capacity jurisdictions simplify the valuation of wholesale marketing and distribution transactions between related entities. These countries, the OECD explains, often lack the data and administrative resources to determine the revenue companies owe from such transfer pricing. The Organization for Economic Cooperation and Development’s framework also included a political agreement to respect these countries’ ... LEARN MORE ABOUT BLOOMBERG TAX OR LOG IN TO KEEP READING: LEARN ABOUT BLOOMBERG TAX From research to software to news, find what you need to stay ahead. Learn more ALREADY A SUBSCRIBER? Log in to keep reading or access research tools. Log In © 2024 Bloomberg Industry Group, Inc. All Rights Reserved MORE FROM BLOOMBERG TAX MOST READ STORIES IN DAILY TAX REPORT: INTERNATIONAL HUMANA PHARMACY UNIT SALES DRAW MINNESOTA INCOME TAX, JUDGE SAYS Humana Inc. subsidiaries failed to convince the Minnesota Tax Court that pharmacy benefits management services one subsidiary provided to another aren’t taxable in the state because they were received in Wisconsin. IRS FINALIZES BUSINESS UNITS' CURRENCY GAINS, LOSSES RULE (2) The IRS finalized rules Tuesday for how companies’ subsidiaries should treat foreign-currency gains and losses. 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SWITZERLAND INTERNATIONAL FINANCE DEPARTMENT ANNOUNCES APPLICATION DATE OF SECOND PROTOCOL TO 1996 DTA WITH SLOVENIA The Swiss State Secretariat for International Finance Dec. 6 announced that the second protocol to the 1996 DTA with Slovenia, signed May 30, 2023, entered into force Oct. 16, 2024, ... Browse More Stories in Daily Tax Report: International Sign Up For Newsletter * * * * View Bloomberg Tax's YouTube * Submit A News Tip * About Us * Contact Us * pro.bloombergtax.com Do Not Sell Or Share My Personal Information * 24/7 BLAW® HELP DESK * 888.560.2529 * help@bloomberglaw.com * Terms of Service * • * Privacy Policy * Copyright * • * Accessibility © 2024 Bloomberg Industry Group, Inc. All Rights Reserved © 2024 Bloomberg Industry Group, Inc. All Rights Reserved