Transfer pricing
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Transfer pricing
Forms and Publications
- TPM-02 – Repatriation of funds by Non-residents – Part XIII
- TPM-03 – Downward Transfer Pricing Adjustments under Subsection 247(2)
- TPM-04 – Third Party Information
- TPM-05R – Requests for Contemporaneous Documentation
- TPM-06 – Bundled Transactions
- TPM-08 – The Dudney Decision: Effects on Fixed Base or Permanent Establishment Audits and Regulation 105 Treaty-Based Waiver Guidelines
- TPM-09 – Reasonable efforts under section 247 of the Income Tax Act
- TPM-11 – Advance Pricing Arrangement (APA) Rollback
- TPM-12 – Accelerated Competent Authority Procedure (ACAP)
- TPM-13 – Referrals to the Transfer Pricing Review Committee
- TPM-14 – 2010 Update of the OECD Transfer Pricing Guidelines
- TPM-15 – Intra-group services and section 247 of the Income Tax Act
- TPM-16 – Role of Multiple Year Data in Transfer Pricing Analyses
- TPM-17 – The Impact of Government Assistance on Transfer Pricing
Related topics
- Date modified:
- 2016-03-15