ARTICLE
29 September 2021

The Cameco And Glencore Transfer Pricing Cases – Comments On The Common Complications In Commodities Commerce Controversy

RP
Ruchelman PLLC
Contributor
From a base in New York City, Ruchelman P.L.L.C. provides bespoke cross-border tax planning and related legal services to a global client base that is sophisticated and savvy. Engagements include overseas expansions, strategic acquisitions, transfer pricing, and international mobility.
Two transfer pricing cases, in Australia and in Canada, address arm's length transfer pricing methodology for mined minerals during a period of steep increases in spot prices. In each case
United States Tax
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Two transfer pricing cases, Commissioner of Taxation of the Commonwealth of Australia v. Glencore Investment Pty Ltd. in Australia and Cameco Corporation v. Her Majesty The Queen in Canada, address arm's length transfer pricing methodology for mined minerals during a period of steep increases in spot prices. In each case, the revenue authority challenged the taxpayer's revision of pricing from the use of fixed prices to adjusted prices that were comparable in methodology to contemporaneous uncontrolled transactions. Each case was decided in favor of the taxpayer. Michael Peggs explains the reasons why the approaches of the tax authorities were rejected. He cautions that the precedential value of the cases may be limited in light of changes made in the 2017 version of the O.E.C.D. Guidelines. One ongoing takeaway from the two cases is that, to settle a transfer pricing dispute, a large multinational company must be prepared to make significant investments in data gathering, executive, time, and cost of litigation.  

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ARTICLE
29 September 2021

The Cameco And Glencore Transfer Pricing Cases – Comments On The Common Complications In Commodities Commerce Controversy

United States Tax
Contributor
From a base in New York City, Ruchelman P.L.L.C. provides bespoke cross-border tax planning and related legal services to a global client base that is sophisticated and savvy. Engagements include overseas expansions, strategic acquisitions, transfer pricing, and international mobility.
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