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Transfer Pricing Case Law Around the World 2025


ISBN13: 9789403513294
To be Published: September 2025
Publisher: Kluwer Law International
Country of Publication: Netherlands
Format: Hardback
Price: £160.00



Transfer Pricing Case Law Around the World 2025 is a pioneering overview of relevant case law based on papers prepared and discussed by seasoned academics during the 2024 WU Transfer Pricing Symposium organized by the WU Transfer Pricing Centre at the Institute for Austrian and International Tax Law at WU (Vienna University of Economics and Business) on 24 and 25 October 2024. It provides a multi-jurisdictional case law analysis focusing on twenty landmark court cases from fourteen jurisdictions around the world.

What’s in this book:

The book is organized for clarity and ease of reference according to the interaction of transfer pricing rules with the following legal issues:

  • burden of proof
  • non-recognition of accurately delineated transactions
  • anti-abuse rules
  • intra-group losses
  • attribution of profits to permanent establishments
  • blocked income, and
  • EU State Aid

A concise explanation of each theme highlights its significance from a transfer pricing perspective and also examines how courts in different jurisdictions have approached and analysed these issues, providing insights into a broad spectrum of legal reasoning and interpretation.

How this will help you:

The case law analysis presented in this significant book elucidates the growing number of transfer pricing disputes arising from differing interpretations of the application of the arm’s length principle among various jurisdictions. The contributors’ rigorous examination of key developments, challenges, and emerging issues in transfer pricing jurisprudence serves as an invaluable resource for tax lawyers, in-house counsel, judges, academics and tax authorities, providing an opportunity to leverage global judicial trends in strengthening arguments during transfer pricing disputes, as well as applying actionable insights to transfer pricing risks and legal certainty. By offering critical insights into judicial reasoning across multiple jurisdictions, the book enables readers to apply actionable strategies for managing transfer pricing risks and enhancing legal certainty.

Subjects:
Taxation
Contents:
Summary of Contents
Preface

CHAPTER 1. Introduction

Part I. TP and the Burden of Proof
CHAPTER 2. Italy v. Dolce and Gabbana S.R.L
CHAPTER 3. The Czech Republic v. ERT Automotive Bohemia s.r.o.
CHAPTER 4. X B.V. v. the Inspector of Taxes (Lux Credit B.V.)

Part II. TP and Non-recognition
CHAPTER 5. Ketua Pengarah Hasil Dalam Negeri v. Watsons Personal Care Stores (M) Holdings Ltd (2023)
CHAPTER 6. Denmark v. Total Energies (Mærsk Olie & Gas)
CHAPTER 7. Luxembourg v. LLC AB

Part III. TP and Anti-abuse Rules
CHAPTER 8. X B.V. v. Staatssecretaris Van Financiën
CHAPTER 9. Portugal v. Sociedade Unipessoal LDA
CHAPTER 10. Skechers USA, Inc. v. Wisconsin Department of Revenue
CHAPTER 11. BlackRock Holdco 5, LLC v. The Commissioners for His Majesty’s Revenue and Customs

Part IV. TP and Intra-group Losses
CHAPTER 12. The Czech Republic v. Stora Enso Wood Products Ždírec s.r.o.
CHAPTER 13. France v. ST Dupont
CHAPTER 14. Argentina v. Dart Sudamericana

Part V. TP and Attribution of Profits to PEs
CHAPTER 15. Compañía Española de Petróleos SA v. Agencia Estatal de Administración Tributaria
CHAPTER 16. Germany v. Z-Pipeline

Part VI. TP and Blocked Income
CHAPTER 17.
3M Co. v. Commissioner
CHAPTER 18. Coca-Cola Co. et al. v. Commissioner
CHAPTER 19. Denmark v. EAC Invest A/S

Part VII. TP and EU State Aid
CHAPTER 20. Fiat and Ireland v. Commission
CHAPTER 21. Commission v. Ireland and Others