The 2018 Bloomberg Tax Transfer Pricing Guide for Luxembourg
The OECD’s recent publication on financial transactions for related parties includes transfer pricing guidance. Learn more on the arm's length nature of intercompany financing transactions in the Luxembourg legal environment.
The goal of this forum is to identify the current status of the country’s specific rules, best practices, and court cases applicable to determining and supporting the arm’s length nature of intercompany financing transactions (including the terms of the instrument and the pricing of the transaction) and the potential impact of the discussion draft.
Peter Moons and Gaspar Lopes Dias give their insights as regards to the Luxembourg jurisdiction.
Discover their full analysis here.
Transfer Pricing Forum, volume 9, Issue 3, October 2018, p.50, ed. Bloomberg Tax BNA
PeterMoonsLocal partner Attorney at law / Avocat à la Cour / Tax adviser
Peter Moons, local partner, is a member of the Tax Practice Group in our Luxembourg office. He focuses on cross-border corporate tax advice for multinationals and funds, in particular private equity funds, their initiators and their investors.T: +352 466 230 244 E: firstname.lastname@example.org
GasparLopes DiasAssociate Tax Adviser
Gaspar Lopes Dias, associate, is a member of the Tax Practice Group in our Luxembourg office. He focuses in international taxation and transfer pricing.T: +352 466 230 777 E: email@example.com