Nokia case highlights transfer-pricing risk in emerging markets

04/2/2013 | Wall Street Journal/CFO Journal, The

Tax authorities in several countries that do not follow transfer-pricing rules used by members of the Organization for Economic Cooperation and Development are scrutinizing how multinationals move assets, revenue and profit between the parent and foreign subsidiaries. A case in point is $375 million that Indian tax authorities are demanding from Nokia.

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Wall Street Journal/CFO Journal, The