The International Tax Bible - Transfer Pricing Case(2012)
This position paper was made for the purpose of discussion with the Korean tax authority during the tax audit period against a foreign subsidiary company doing business in Korea. This kind of tax audit defense approach was a new one at that time. The issue is the appropriateness of transfer pricing. This position paper was inserted in the book "the International Tax Bible(국제조세바이블)" which was published in January 2012.
Publication DateWinter January 27, 2012
Citation InformationSung-Soo Han. The International Tax Bible - Transfer Pricing Case. (2012)
Available at: http://works.bepress.com/sung_soo_han/17/