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The global transfer pricing landscape continues to evolve rapidly as tax authorities, courts and MNE groups respond to heightened economic volatility and increasingly complex cross‑border operating models. This issue of Transfer Pricing News highlights a clear through‑line: jurisdictions are demanding stronger evidence of substance, closer alignment between intercompany arrangements and economic reality, and more defensible documentation at a time when both supply chains and tax frameworks are under strain.
Please find this month's issue here.
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