The Arm's Length Comparable in Transfer Pricing: A Search for an" Actual" or a" Hypothetical" Transaction? A Pichhadze World Tax J., 1, 2015 | 10* | 2015 |
Proposals for Reforming the Law of Self-defence A Pichhadze The Journal of Criminal Law 72 (5), 409-440, 2008 | 10 | 2008 |
Exposing Unaddressed Issues in the OECD's BEPS Project: What About the Roles and Implications of Contract Interpretation Law and Private International Law in the Transfer … A Pichhadze World Tax J., 99, 2015 | 8 | 2015 |
GAARs and the nexus between statutory interpretation and legislative drafting: Lessons for the US from Canada RS Avi-Yonah, A Pichhadze Accounting, Economics, and Law: A Convivium 7 (1), 20150019, 2017 | 5 | 2017 |
Delineating the terms of a single composite transaction in transfer pricing: the role of step-transaction analysis in the aggregation of interrelated (linked) contracts A Pichhadze Deakin University, 2016 | 4 | 2016 |
Economic substance doctrine: Time for a legislative response A Pichhadze, A Pichhadze Tax Notes International 48 (1), 2007 | 3 | 2007 |
Formulating a general anti-abuse rule (GAAR) in tax legislation: Insights and recommendations RS Avi-Yonah, A Pichhadze The Routledge Companion to Tax Avoidance Research, 117-135, 2017 | 2 | 2017 |
'Transfer Pricing and the Arm’s Length Principle After BEPS': Book Review by Dr. Amir Pichhadze A Pichhadze British Tax Review, 2020 | 1 | 2020 |
The Role of Contract Interpretation in Transfer-Pricing Law: Lessons from Canada A Pichhadze Can. Tax J. 65, 849, 2017 | 1 | 2017 |
Allocation of Income and Deductions Among Taxpayers Under Section 482 of the United States Internal Revenue Code: Alerting the Courts to the Role of Contractual Interpretation … A Pichhadze International Transfer Pricing Journal 22 (3), 2015 | 1 | 2015 |
Making a Case for Increased Judicial Globalization in Consumption Tax Law A Pichhadze Can. Tax J. 56, 367, 2008 | 1 | 2008 |
Review of The Force of Non-Violence: An Ethico-Political Bind M KOSMA, A PİCHHADZE IDEAS: Journal of English Literary Studies 1 (1), 62-64, 2021 | | 2021 |
Formulating a general anti-abuse rule (GAAR) in tax legislation: insights and recommendations A Pichhadze, RS Avi-Yonah Deakin University, 2018 | | 2018 |
The non-recognition and recharacterisation of contracts in transfer pricing: exposing the tensions with private contract law A Pichhadze Deakin University, 2017 | | 2017 |
Role of Contract Interpretation Law in Transfer Pricing A Pichhadze University of Michigan Law School, 2016 | | 2016 |
Contractual Interpretation in Tax Disputes: Insights from Canada A Pichhadze Tax Notes International 79, 2015 | | 2015 |
Calling on US Courts to Adopt Canada's Unified Approach to Statutory Interpretation A Pichhadze J. App. Prac. & Process 15, 1, 2014 | | 2014 |
Can, and Should, the Parole Evidence Rule Be Invoked by or Against Tax Authorities in Tax Litigation? Distilling Lessons from US Jurisprudence A Pichhadze Bulletin for International Taxation 67 (9), 474-490, 2013 | | 2013 |
Input Tax Credits: What Canada's Federal Court of Appeal Could Have Learned from the UK VAT A Pichhadze Tax Notes International 70 (3), 2013 | | 2013 |
Canada's Transfer Pricing Test in the Aftermath of GlaxoSmithKline Inc.: A Critique of the Reasonable Business Person Test A Pichhadze A Critique of the Reasonable Business Person Test (May 15, 2013 …, 2013 | | 2013 |