EYEY

Kenya Tax Appeals Tribunal determines Resale Price Method is most appropriate TP method for company's marketing operations

|Tax Alerts, National/Federal Taxation, T ...|Kenya
Kenya

  • The Kenya Tax Appeals Tribunal has ruled that the Kenya Revenue Authority properly changed a taxpayer’s transfer pricing method on intercompany transactions from the Comparable Uncontrolled Price method to the Resale Price Method.
  • The Tax Appeals Tribunal reiterated that the burden of proof regarding the residency of a nonresident related entity rests with the taxpayer if the revenue authority has …

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