Valuation Perspectives From Around the World
Increased analysis within financial reporting comes with increased levels of analysis required for tax reporting.
Increased analysis within financial reporting comes with increased levels of analysis required for tax reporting.
Case Study: How to determine appropriate arm’s length royalty rates for intellectual property under U.S. IRC § 482 for Transfer Pricing.
In support of its $7.8 billion acquisition of Groupe Danone’s global biscuit business, Kraft Heinz required a valuation for financial and tax reporting purposes.
Revisiting the outcomes of two high-profile tax evasion cases involving image rights.
Valuations in the U.S. are generally required around a transaction and can be grouped by needs for financial reporting, tax, or legal purposes, as well as for compliance or recurring regulatory purposes outside of a transaction.