Facilitating Successful Advance Pricing Agreements for U.S.-based Multinational Enterprises (PDF)
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In the United States, recent administrative and organizational changes in the Internal Revenue Service (IRS) have resulted in a more practical and efficient Advance Pricing Agreement (APA) process. Corporate taxpayers should re-evaluate the benefits and opportunities afforded by an APA given this new environment. This EIA discusses facilitating successful APAs for U.S.-based multinational enterprises.
J. Bradford Anwyll, Gregory J. Ossi and Elizabeth A. Sweigart are with PricewaterhouseCoopers LLP. Brad, a Principal, has over 30 years of experience in tax controversy and litigation matters involving federal and international issues. He can be reached at email@example.com. Greg, a Principal, has 30 years of experience in tax consulting and tax administration. Prior to joining PwC, he was a Branch Chief in the U.S. APA Program. He can be reached at firstname.lastname@example.org. Liz, a Director, has over a decade of transfer pricing, tax controversy, and project management experience. She can be reached at email@example.com. Learn more about PwC at http://www.pwc.com.
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