Posted by Alex Martin on April 10, 2018
Clayton & McKervey’s transfer pricing team is keeping a close eye on the trial that could prove to be one of the biggest transfer pricing events in recent years.
Posted by Alex Martin on February 2, 2018
The Tax Cuts and Job Act (TCJA) tax overhaul signed into law on December 22, 2017 was cheered by businesses who have long struggled with …
Shareholder Sarah Russell and Principal Alex Martin share their insight during the automotive update with Advantage Austria.
Posted by Alex Martin on December 12, 2017
Is Your Company Subject to the New “Google Tax?” Multinationals with UK operations should be aware of a new focus on transfer pricing …
Clayton & McKervey receives recognition from Transfer Pricing Week for its transfer pricing practice
Posted by Clayton & McKervey on October 16, 2017
Clayton & McKervey, an international certified public accounting and business advisory firm located in metro Detroit, announces the firm has been recognized for its transfer …
Posted by Alex Martin on August 29, 2017
The Organization for Economic Co-operation & Development (OECD) recently released the latest version of the Transfer Pricing Guidelines for Multinational Enterprises and Tax Administrations …
Posted by Clayton & McKervey on July 13, 2017
Globalization, mergers and acquisitions, and the subsequent sprouting of multi-conglomerates has made transfer pricing — the pricing of transactions between separate entities of a multi-entity company …
Posted by Alex Martin on April 27, 2017
Major trading partners implement stringent new transfer pricing rules Transfer pricing has long been a tax concern for the largest multinationals and news articles on …
Posted by Alex Martin on March 21, 2017
Clayton & McKervey Transfer Pricing Principal Alex Martin hosted a webinar produced by CPA Academy titled Up Close and Personal with Transfer Pricing. The presentation discussed best …
Posted by Alex Martin on January 12, 2017
The Internal Revenue Service (IRS) announced that U.S. distribution subsidiaries of foreign companies can expect special transfer pricing scrutiny during IRS audits.