The OECD’s Transfer Pricing Methods International Tax Law

The OECD’s Transfer Pricing Methods International Tax Law

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Dear Sir or Madam,

 

The following brochure provides a short summary of the different transfer pricing methods of the OECD.

 

We are aware of the fact that it can only be a first step to describe the complex subject of a very crucial part of international tax law. However, we hope that this information can be useful for your further decisions.

 

Lorenz & Partners Co., Ltd. is an international firm of business lawyers and consultants headquartered in Bangkok since 1995 and specializing in legal, tax and business consultation of foreign companies with respect to their investments in Southeast Asia.

 

Please allow us to inform you that despite all our efforts, we cannot accept liability for this brochure and its contents and we reserve all rights derived from it. However, copies of this brochure with reference to its author are welcome.

 

Lorenz & Partners

 

 

 

Although Lorenz & Partners always pays great attention on updating information provided in newsletters and brochures, we cannot take responsibility for the completeness, correctness or quality of the information provided. None of the information contained in this newsletter is meant to replace a personal consultation with a qualified lawyer. Liability claims regarding damage caused by the use or disuse of any information provided, including any kind of information which is incomplete or incorrect, will therefore be rejected, if not generated deliberately or grossly negligent.

 

 

 

 

 

 

 

 

We hope that we have been able to assist you with this information.
If you have any further questions, please contact us:

Lorenz & Partners Co., Ltd.

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