Determining Arm’s Length Royalty Rates for a Tech Firm
Case Study: How to determine appropriate arm’s length royalty rates for intellectual property under U.S. IRC § 482 for Transfer Pricing.
Case Study: How to determine appropriate arm’s length royalty rates for intellectual property under U.S. IRC § 482 for Transfer Pricing.
Major aircraft makers, Alestis Aerospace, Airbus, and Boeing, were facing challenges due to Spain’s banking crisis. Learn how VRG helped.
Under RARTP, the tax value of assets is determined by applying a “revaluation factor” to the tax value originally determined in each year or period of the asset’s acquisition or construction.