Perspectives and Future Prospects of the Arm's Length Principle at EU Level Considering the Proposed European Transfer Pricing Directive (Part Two)

Journal
European Union; International; OECD
Bulletin for International Taxation 2025 (Volume 79), No. 6/7
In this article, the author continues to examine the 2023 European proposal on transfer pricing and multinational taxation, noting its misalignment with global efforts. The author concludes that, amid shifting priorities under BEPS 2.0, European initiatives should align more closely with international tax reform.