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This document is an English-language version of a report that is intended to comply with the documentation required under Circular 66 as it relates to WFTV’s intercompany transactions for the period under review.The scope of this report is limited to addressing whether WFTV should be treated as having reasonable grounds for concluding that the transfer pricing arrangements with respect to the related party transactions under evaluation were consistent with the arm's length principle and did not result in an inappropriate reduction to WFTV's taxable income for FY 2011-2013. Any significant tax issues (e.g., business taxes, consumption taxes, value-added taxes, or any other tax obligations arising separately or in conjunction with the related party transactions under evaluation) are outside the limited scope of this report.
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