Josh Post

The Transfer Pricing Show

Business EN ↓ 12 episodes

International tax and transfer pricing explained from the ground up. I’m Josh Post, a Transfer Pricing Principal at Ryan, passionate about automating and modernizing TP with AI. Each episode tackles the basic questions you were too embarrassed to ask, drawn from my current learning and research. I use NotebookLM/AI to help organize sources and prompts—AI can make mistakes, so please verify. No client/confidential info. Views are mine, not Ryan’s. Educational only—not tax/legal advice.

Author

Josh Post

Category

Business

Podcast website

ryan.com

Latest episode

Jun 4, 2026

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Episodes

Benefit Test 2.0: Same Rules, Better Examples 04.06.2026

Review of the OECD 's draft rewrite of Chapter VII on intra-group services,. The but the biggest story isn't new rules—it's better examples. In this episode, we break down the consultation draft's treatment of expected benefits, failed ERP and SAP implementations, shareholder activities, duplication, pass-through costs, and method selection.

PCbCR: Congratulations, You're Transparent Now! 13.05.2026

For years, your country-by-country data sat in a government database that nobody read. That's over. The EU and Australia now require the same jurisdiction-level revenues, profits, and tax figures to be published on the open internet — in machine-readable formats explicitly designed for automated analysis. In this episode, we break down what's actually required, who's caught by threshol...

The International Emergency Economic Podcast — SCOTUS Strips White House of Its Favorite Trade Weapon 20.02.2026

The Supreme Court ruled 6-3 that IEEPA does not authorize presidential tariffs. Roberts held that "regulate … importation" doesn't include the power to tax — a power the Constitution reserves to Congress. The ruling invalidates the reciprocal and drug-trafficking tariffs but leaves Section 232/301 duties intact. Refund exposure may top $175B. The administration vows to reimpose tarif...

15.5% and Chill: India Finally Makes the Safe Harbor Worth Taking 19.02.2026

India just collapsed four safe harbor categories into one, cut the margin to 15.5%, and raised the threshold to ₹2,000 crore — which means the annual benchmarking fight that has defined Indian TP compliance for two decades might actually be over for most IT services captives. But "streamlined" is not "free," and the price of certainty includes a margin above arm's length, s...

Substance Called—CRA Wants Its Residual Back: Bill C-15, OECD delineation, and the 30-day documentation squeeze 23.01.2026

CRA’s been aggressive for years—now Canada wants OECD-style “actual conduct” baked into the statute. Bill C-15 shrinks the doc clock to 30 days and makes “contracts say” a weaker defense when reality says otherwise. If your residual lives offshore but decisions live in Canada, expect the phone to ring.

B.O.G. (Bazookas Over Greenland): The EU's Nuclear Option 20.01.2026

The EU's Anti-Coercion Instrument—nicknamed the "trade bazooka"—lets Brussels retaliate against economic bullying without unanimous member state approval. Adopted in 2023, it authorizes tariffs, procurement bans, IP restrictions, and financial market exclusions against countries weaponizing trade to influence EU policy. Built after Trump's 2018 tariffs and China's pressure on Lithuania, it's now f...

Amount B: The Ghost of Transfer Pricing Simplification Lives 16.01.2026

Amount B promised to simplify transfer pricing for routine distribution—a genuine problem consuming six-figure fees on 3% margin transactions. Instead, it haunts the international tax system as a specter of what could have been. The 2025 OECD Model Convention builds elaborate dispute resolution infrastructure for a framework that, per France's July 2025 guidance, "no jurisdiction meets th...

OECD's P2 Side By Side Package : It's Not You, It's Your UTPR 14.01.2026

The US and Pillar Two were never going to be a perfect match. After a threatened tax war, a last-minute G7 deal, and a "revenge tax" that got pulled days before passage, the two systems have agreed to coexist—awkwardly. On January 5, 2026, the OECD made it official: US-parented multinationals can elect out of IIR and UTPR starting this year. But don't cancel your compliance subscriptions just yet....

Josh Post Explains OBBBA 's Impact on BEAT 26.08.2025

Analysis of the how BEAT changes under the OBBA.

FDDEI : Keep the Carrot, Drop the QBAI 08.08.2025

Continuing AI generated study guide on the OBBA impact to transfer pricing and international tax.

Stop Feeling GILTI. Start Paying 12.6% - The NCTI era 06.08.2025

Continuing study guide into the OBBA's impact on international tax and transfer pricing

New R&D Expensing rules 05.08.2025

Exploring how the new R&D cost treatment impact transfer pricing.

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