Navigation Menu

Poll

How do you rate your relationship with your CFO

Very good, they understand TP requirements well enough
8%
Good but there's room for improvement
31%
Good but TP is not their main concern
51%
They do not understand the requirements of the TP department
10%


View previous poll results

Skip to Navigation menu Skip to top of page

Korea transfer pricing documentation guide

February 01, 2008

Supplied by TP Week correspondent Kim & Chang. Report by TY Nam and Stefan Moller

There is no contemporaneous documentation requirement under current Korean tax law, but under Article 5 of the International Tax Coordination Law (ITCL) and Article 7 of its Presidential Decree, a taxpayer having international transactions with a foreign related party must submit a report on the adopted transfer pricing methodology (TPM) to the district tax office having jurisdiction over the taxpayer when filing the annual corporate income tax return.

Free Trial

Sorry. You must be a subscriber to view this article. Alternatively, why not take a free trial? To subscribe and access this article immediately simply click here or call +44(0)207 779 8380.


Email:
Password:

Remember me?
Forgot your password?