Transfer Pricing Positions of Consolidated Groups: After Guidant
/Volume 3 No 4 | Read Article
By Michael Peggs and Kenneth LoboMichael Peggs and Kenneth Lobo comment on the I.R.S. victory in the Guidant case where the I.R.S. applied the “one size fits all” approach to group-wide transactions. Their conclusion is that today’s I.R.S. victory may be tomorrow’s lost revenue where a taxpayer seeks competent authority relief for transfer pricing adjustments initiated abroad. See more →