
![LAST WEEK was all about the marriage [and divorce] of transfer pricing arrangements and State aid. W](https://static.wixstatic.com/media/7fa6da7a44d5498d8b66f74b6d2a076b.jpg/v1/fill/w_688,h_459,fp_0.50_0.50,q_90,enc_auto/7fa6da7a44d5498d8b66f74b6d2a076b.jpg)
LAST WEEK was all about the marriage [and divorce] of transfer pricing arrangements and State aid. W
My key take-away for future transfer pricing arrangements? In designing transfer pricing arrangements, set a level of remuneration which is validated by the OECD method that achieves the maximum outcome. If it happens to have a US tax ruling at hand, don’t set remuneration levels in the EU above those applied in the US. You will have read dozens of reports on the Commission’s Wednesday twin announcements: it ordered Amazon to repay €250 million in taxes to Luxembourg and it