Transfer Pricing Agreements Clause Samples

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Transfer Pricing Agreements. Prior to the Closing, the Seller shall enter into transfer pricing arrangement(s) with Color Edge, Inc. and Color Edge Visual, Inc. and Photobition pursuant to which if any of the companies refer work to each other, the recipient of the work will pay the sender of the work 30% of the gross amount paid by the customer for such work less applicable commissions. The transfer pricing agreement(s) between Seller and Color Edge, Inc., Color Edge Visual, Inc. and Photobition shall provide that Purchaser shall be entitled to the benefits thereunder after Closing.
Transfer Pricing Agreements. Prior to the consummation of the Comp 24 Transaction (as defined below), the Sellers shall enter into a transfer pricing arrangement with Comp 24, LLC, a Delaware limited liability company (“Comp 24”) pursuant to which if Sellers and Comp 24 refer work to each other, the recipient of the work will pay the sender of the work 30% of the gross amount paid by the customer for such work less applicable commissions. For the purposes of this Section 2.8, the term “Comp 24 Transaction” shall mean the transaction contemplated in that certain Asset Purchase Agreement, dated the date hereof, by and among MC24, LLC, Acquiror Parent, Comp 24, LLC and certain third parties listed on the signature pages thereto. The transfer pricing agreement between Sellers and Comp 24 shall provide that Purchaser shall be entitled to the benefits thereunder after the Closing Date.
Transfer Pricing Agreements. There are no transfer pricing agreements made by Target with any Taxing Authority.
Transfer Pricing Agreements. There are no transfer pricing --------------------------- agreements made by Visionary with any Taxing Authority.
Transfer Pricing Agreements. The Company has not entered into transfer pricing agreements or other like agreements with respect to any foreign jurisdiction.
Transfer Pricing Agreements. Parent will supply Buyer with a copy of all closing or other agreements in its possession or control related to the Company entered into with the Internal Revenue Service, the Malaysian taxing authority or any other state, local or foreign taxing authorities relating in whole or in part to Code Section 482 or any other comparable transfer pricing provision set forth under state, local or foreign tax law that arise from any transaction between (i) the Company with (ii) Parent or any of its Affiliates or their respective predecessors, and Parent will use its best efforts to supply, with respect thereto, any supporting documentation including, but not limited to, any transfer pricing or economic studies obtained for, or in anticipation of, any such proceeding.