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Advance pricing agreements : a global analysis : is there a safe harbour for multinational enterprises operating in a global economy?
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ISBN: 904119651X 9789041196514 Year: 1998 Publisher: London : Cambridge, MA : Kluwer Law International,


Book
OECD transfer pricing guidelines for multinational enterprises and tax administrations : 22 July 2010.
Authors: ---
ISBN: 1282797573 9786612797576 9264090185 9264090339 Year: 2010 Publisher: [Paris, France] : OECD,

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Abstract

The OECD Transfer Pricing Guidelines for Multinational Enterprises and Tax Administrations provide guidance on the application of the "arm's length principle", which is the international consensus on transfer pricing, i.e. on the valuation, for tax purposes, of cross-border transactions between associated enterprises. In a global economy where multinational enterprises (MNEs) play a prominent role, transfer pricing is high on the agenda of tax administrators and taxpayers alike. Governments need to ensure that the taxable profits of MNEs are not artificially shifted out of their jurisdictions


Book
Advanced Issues in International and European Tax Law.
Author:
ISBN: 9781849466950 1849466955 Year: 2015 Publisher: London Hart Publishing


Book
Guidance on Transfer Pricing Documentation and Country-by-Country Reporting
Authors: ---
ISBN: 9264219234 9264219226 Year: 2014 Publisher: Paris : OECD Publishing,

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This document contains revised standards for transfer pricing documentation and a template for country-by-country reporting of revenues, profits, taxes paid and certain measures of economic activity. These new reporting provisions, and the transparency they will encourage, will contribute to the objective of understanding, controlling, and tackling BEPS behaviours. Countries participating in the BEPS project will carefully review the implementation of these new standards and will reassess no later than the end of 2020 whether modifications should be made to require reporting of additional or different data. Effective implementation of the new reporting standards and reporting rules will be essential. Additional work will be undertaken to identify the most appropriate means of filing the required information with and disseminating it to tax administrations.


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Guidance on Transfer Pricing Aspects of Intangibles
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ISBN: 9264219218 926421920X Year: 2014 Publisher: Paris : OECD Publishing,

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This document contains revisions to the OECD Transfer Pricing Guidelines to align transfer pricing outcomes with value creation in the area of intangibles. The changes clarify the definition of intangibles and provide guidance for related parties; including transactions involving intangibles and the transfer pricing treatment of local market features and corporate synergies. Some transfer pricing issues relating to intangibles are closely related to other issues that are to be addressed during 2015, most notably in relation to the allocation of risk among MNE group members and recharacterisation of transactions. Because of those interactions some sections of this document are in intermediate form and will be finalised in 2015.

OECD guidelines for multinational enterprises : focus on responsible supply chain management : annual report 2002.
Authors: ---
ISBN: 1280082224 9786610082223 9264177469 9264198954 Year: 2002 Publisher: Paris, Cedex, France : OECD,

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The OECD Guidelines for Multinational Enterprises are recommendations to multinational enterprises on their business conduct in such areas as labour, environment, consumer protection and the fight against corruption. The recommendations are made by the 37 adhering governments and, although they are not binding, governments are committed to promoting their observance. This book provides an account of what the 37 adhering governments have been doing to enhance the contribution of the Guidelines to the improved functioning of the global economy. It also provides an overview of the challenges for


Multi
Arm's length transaction structures : recognizing and restructuring controlled transactions in transfer pricing : thesis
Author:
ISSN: 15707164 ISBN: 9789087220884 908722088X Year: 2011 Volume: 20 Publisher: Amsterdam IBFD


Book
Transfer pricing and corporate taxation : problems, practical implications and proposed solutions
Author:
ISBN: 038778182X 144192678X 9786611830854 1281830852 0387781838 Year: 2009 Publisher: New York, N.Y. : Springer,

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Abstract

Transfer pricing is often identified as the most important tax issue that multinational corporations face. This publication is an extremely useful tool for practitioners and tax directors grappling with complex and contentious transfer pricing issues of various kinds. It contains a series of highly detailed case studies, which draw on the author's two decades as a government economist specializing in transfer pricing and valuation, a transfer pricing economist with Price Waterhouse, and, lastly, an independent consultant. These case studies elucidate the types of intercompany transactions that tax authorities often scrutinize, lay out how one should go about analyzing such transactions under the existing regulatory regime in considerable detail, and illustrate a number of proposed alternative approaches that could substantially reduce compliance costs and the frequency of transfer pricing disputes. Practitioners and tax directors will find the case studies extremely helpful in formulating defensible transfer pricing policies. The case studies may also be useful in assessing tax exposure attributable to intercompany pricing practices, as required under FASB Interpretation No. 48 (FIN 48). Tax policy analysts will find the evaluation and critique of existing methods and the development of alternative proposals thought-provoking and compelling. The book is divided into three parts: Part I contains a detailed review and critique of individual transfer pricing methods and the economic premises that underpin them. Part II contains a discussion of proposed alternative transfer pricing methods. Part III contains the aforementioned series of eight case studies, encompassing a broad range of transfer pricing issues. Global trading and certain types of Internet-based businesses, which the current transfer pricing regime does not adequately address, are among the issues covered. Each case study is analyzed under both the existing transfer pricing regime and one or more proposed methods.

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