We are happy to share with you our firm’s latest Tax article. The article on ‘Transfer Pricing Business Models for Distribution & Sales’ was written by Anat Shavit, partner and head of the Tax practice in our firm, and Yuval Peled, a senior associate in the practice. Transfer pricing rules deal with pricing and profit attribution rules of international transactions performed between two or more related parties (e.g., a parent and its subsidiary). This article provides a high-level overview of some of the common business models used by Israeli local entities that are engaged in the distribution, sales and marketing of their group’s products and analyses the potential transfer pricing ramifications of these different models.
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This article was published by The International Law Office (ILO), a series of legal newsletters which provide expert legal commentary in the form of concise, regular news updates.