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Weaver’s Josh Finfrock discusses the Pepsi v. Illinois case and what it reveals about economic substance, transfer pricing and state tax planning.
Learn more about India’s new 15.5% transfer pricing safe harbor and its implications for U.S. multinationals.
Learn how the Supreme Court’s IEEPA ruling affects tariffs, refunds and transfer pricing, including income tax implications for companies.
Discover key insights on cross-border intercompany loans, debt capacity and interest rates to strengthen your global tax strategy.
Learn about separating royalties from import prices in transfer pricing, including key considerations for foreign multinational imports and tariffs.
Featured in Medical Journal—Houston, Weaver's professionals explore practical tax planning considerations for physician-owned practices and outline strategies to help practice owners make informed financial decisions throughout the year.
Learn how transfer pricing rules apply to private equity companies that set up employment companies after acquisitions.
Stay informed about the latest global transfer pricing updates for 2025. Learn about new rules in Canada, Mexico, Germany, the U.S. and Australia.
In a closely watched Facebook case, the U.S. Tax Court’s split decision has broad implications for companies entering cost sharing arrangements.
Weaver’s Q2 2025 SEC Update webinar summary covers transfer pricing strategies and financial reporting related to tariffs, as well as upcoming ASUs.
Join us on-demand as we discuss recent accounting pronouncements and updates, as well as the SEC’s agenda and more.
Explore IRS Notice 2025-4 and its impact on international transfer pricing for distribution activities.
Understand the increasingly important role of domestic transfer pricing in health care, regulated professional services, private equity and other industries.
Tariff changes are reshaping global business. Learn how to manage their impact on your supply chain and taxes with strategic executive planning.
Explore the evolving world of global tariffs, and learn strategies for trade compliance, transfer pricing and tax planning.
Discover how executives can use transfer pricing strategically to minimize risks, optimize tax strategies and enhance global business operations.
Learn how HMRC's guidelines impact transfer pricing for life sciences and other multinationals and how to mitigate risks and ensure compliance.
Learn how businesses can prepare for the implications of economic substance on transfer pricing and IRS challenges.
Learn how recent IRS litigation influences M&A transactions, with a focus on transfer pricing risks, compliance needs and proactive strategies.
Discover how global manufacturers can navigate transfer pricing and foreign exchange volatility with Weaver’s Josh Finfrock and Bannockburn Global’s Greg Ciciola.
Learn how the IRS assessment of “implicit support” will affect its scrutiny of intercompany loans for multinational firms.
Join Josh Finfrock and Michael Kern as they discuss the latest on German transfer pricing regulations and offer essential insights for businesses in Germany.
In this episode, Vince Houk & Josh Finfrock discuss an export incentive under the IC-DISC regime and how to optimize that using transfer pricing.
Microsoft is disputing a $28.9 billion tax claim by the IRS for a decade-long transfer pricing audit, while the IRS is also focusing on cross-border compliance.
On this episode of Weaver: Beyond the Numbers, Vince Houk and Josh Finfrock dive into the export incentive under FDII and what that can mean for your organization.
Transfer pricing is commonly viewed as an international issue, but certain state tax authorities are beginning to scrutinize domestic related-party transactions.
Recent news about transfer pricing includes the IRS’ interim guidance for evaluating the suitability of APA requests.
On this episode of Weaver: Beyond the Numbers, Vince Houk and Josh Finfrock discuss the tax opportunities for businesses with cross-border activities. Tune in.
Recent news about transfer pricing includes Brazilian transfer pricing rules, migration of intangible assets and IRS guidance for financial transactions.
Real Estate Investment Trusts (REITs) are subject to a number of transfer pricing rules and, when applicable, to onerous penalties. Learn about the requirements.
Skechers was found to owe more than $1M in taxes after losing a transfer pricing dispute that involved a royalty expense taken as a tax deduction.
Increased IRS funding may mean greater attention from IRS auditors to transfer pricing, which has been the target of political & public concerns over tax avoidance.
An introduction to transfer pricing is the topic for this week’s Motor Fuels Tax Minute. Join our hosts for an interview with Josh Finfrock, Director, International Tax, as he provides an overview and inside look at transfer pricing.
Find out why U.S. multinationals with Australian operations can potentially be subject to double taxation based on Australia’s “hybrid mismatch rules.”