Latest Update to Chainbridge Transfer Pricing Issue in District of Columbia
Retrieved on:
Friday, April 13, 2018
In several other cases before a different ALJ, the parties have also come to a tentative settlement agreement with respect to their transfer pricing issues.
Key Points:
- In several other cases before a different ALJ, the parties have also come to a tentative settlement agreement with respect to their transfer pricing issues.
- In short, the "Chainbridge Method" of transfer pricing involves developing a "Comparable Profits Model" for an industry and then applies this model in a generic fashion to taxpayers in that industry.
- Fortunately, the District of Columbia is no longer contracting with Chainbridge.
- 1Microsoft Corporation v. Office of Tax and Revenue, District of Columbia Office of Administrative Hearings, No.