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WFTV, with the assistance of Weatherford’s transfer pricing group, has drafted this transfer pricing study in order to document certain intercompany transactions between WFTV and its foreign related parties during the years ended December 31, 2011, December 31, 2012 and December 31, 2013 (“FY 2011-2013” or “period under review”). During FY2011-2013, WFTV engaged in various transactions with other affiliates of the Weatherford Group that are considered “related parties” for Vietnamese corporate income taxpurposes. As such, WFTV is subject to Vietnam's transfer pricing regulations, including the arm's length principle as defined in Article 37 of the Law on Tax Administration and the transfer pricing regulations included in Circular 117/2005/TT/BTC (“Circular
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