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by Sofia ⌂ @, New York, Friday, November 23, 2018, 09:34 (60 days ago) @ DouglasCar

Accountant supermarket manager vaso ultra nz The OECD rejected a fundamental overhaul. Under current law in most developed countries, companies allocate corporate income for tax purposes based on paper transactions between units under “arm’s-length” prices, or the amounts that would be paid between unrelated parties. That has let subsidiaries in tax havens pay low prices for patent rights, moving profits offshore.


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