The Brazilian Reform of Transfer Pricing Rules: Complying with the OECD’s Standards

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DOI:

https://doi.org/10.18778/0208-6069.110.06

Keywords:

the Brazilian Tax Law Reform, Transfer Pricing Rules, Arms’ length principle, OECD Guidelines

Abstract

The article analyses the international context that led to a broad reform of Brazilian domestic legislation on transfer pricing. The former Brazilian transfer pricing legislation (1996) lacked compliance with the comparability analysis and the arms’ length principle. The new legislation, published in 2023, adopted the Organisation’s for European Economic Cooperation (OECD) guidelines on the subject. One important issue that may arise from implementing the new rules and the comparability analysis in Brazil is the relative lack of databases on the subject.

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References

Andrus, Joseph. Richard Collier. 2017. Transfer Pricing and the Arm’s length Principle After BEPS. Oxford: Oxford University Press.
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Google Scholar DOI: https://doi.org/10.5040/9781526526199

Organisation for Economic Cooperation and Development. 2017. Model Tax Convention on Income and on Capital: Condensed Version 2017. Paris: OECD Publishing.
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Organisation for Economic Cooperation and Development. 2022. Transfer Pricing Guidelines for Multinational Enterprises and Tax Administrations. Paris: OECD Publishing.
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Organisation for Economic Cooperation and Development. Receita Federal do Brasil. 2023. The New Transfer Pricing Framework. Paris: OECD Publishing.
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Published

2025-07-15

How to Cite

Godoi, M., & Furman, M. (2025). The Brazilian Reform of Transfer Pricing Rules: Complying with the OECD’s Standards. Acta Universitatis Lodziensis. Folia Iuridica, 110, 97–107. https://doi.org/10.18778/0208-6069.110.06