Don’t Get Caught In the Conflict: U.S. Versus Brazilian IP Transfer Pricing Rules

Published date04 March 2020
Subject MatterSettlement,IRS,Transfer Pricing,Risk Assessment,Tax Evasion,Foreign Subsidiaries,Parent Corporation,Multinationals,Patent Royalties,Conflicts of Laws,Brazil,Tax Litigation,United States,Intellectual Property Protection,Arms Length Transactions,Code of Federal Regulations (CFR),Trademark Royalties
AuthorKyle Koemm
Law FirmHaug Partners LLP

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