The allocation of decision rights is a fundamental issue of organizational design. We study the decision-making authority and respective outcomes within firms’ transfer pricing function where tax and managerial objectives typically conflict. Exploring unique survey data on transfer pricing systems of multinational companies, we investigate the extent to which the centralization of decision-making authority at the tax department is associated with (external) tax audit conflicts and (internal) coordination conflicts. We find that disputes with local tax authorities are more likely, i.e. tax risk is higher, when the tax department has ultimate authority over transfer pricing decisions. This result is consistent with theory predicting that cent...
As the number of multinational enterprises increases, the number of transactions between entities be...
I n cooperation with the Tax Executives Institute (TEI), we conducted an extensive fi eld survey of ...
Transfer pricing is one of the principal international taxation issues of the 1990s and potentially ...
The allocation of decision rights is a fundamental issue of organizational design. We study the deci...
We examine whether a centralized transfer pricing authority leads to more tax disputes and internal ...
We examine how a multinational's choice to centralize or decentralize its decision structure is affe...
We examine how a multinational’s choice to centralize or de-centralize its decision structure is aff...
This paper examines the impact of managerial autonomy on tax compliance in an international transfer...
This paper considers how the multinational corporation\u27s transfer price responds to changes in in...
Under decentralized decision-making (DDM), how does the multinational corporation (MNC) adjust the t...
Martini JT, Niemann R, Simons D. Transfer Pricing or Formula Apportionment? Tax-Induced Distortions ...
Abstract: Our study tests the effect of coordination, at both the government- and the firm-level, on...
We study the roles of the head office (HO) and the business units (BUs) of a multinational corporati...
As the number of multinational enterprises increases, the number of transactions between entities be...
Transfer prices play a central role for both managerial accounting and tax reporting purposes in ver...
As the number of multinational enterprises increases, the number of transactions between entities be...
I n cooperation with the Tax Executives Institute (TEI), we conducted an extensive fi eld survey of ...
Transfer pricing is one of the principal international taxation issues of the 1990s and potentially ...
The allocation of decision rights is a fundamental issue of organizational design. We study the deci...
We examine whether a centralized transfer pricing authority leads to more tax disputes and internal ...
We examine how a multinational's choice to centralize or decentralize its decision structure is affe...
We examine how a multinational’s choice to centralize or de-centralize its decision structure is aff...
This paper examines the impact of managerial autonomy on tax compliance in an international transfer...
This paper considers how the multinational corporation\u27s transfer price responds to changes in in...
Under decentralized decision-making (DDM), how does the multinational corporation (MNC) adjust the t...
Martini JT, Niemann R, Simons D. Transfer Pricing or Formula Apportionment? Tax-Induced Distortions ...
Abstract: Our study tests the effect of coordination, at both the government- and the firm-level, on...
We study the roles of the head office (HO) and the business units (BUs) of a multinational corporati...
As the number of multinational enterprises increases, the number of transactions between entities be...
Transfer prices play a central role for both managerial accounting and tax reporting purposes in ver...
As the number of multinational enterprises increases, the number of transactions between entities be...
I n cooperation with the Tax Executives Institute (TEI), we conducted an extensive fi eld survey of ...
Transfer pricing is one of the principal international taxation issues of the 1990s and potentially ...