This paper analyzes the optimal level of transfer pricing manipulation when the expected tax penalty is a function of the tax enforcement and the market price parameter. The arm’s length principle implies the existence of a range of acceptable prices shaped by market, and firms can manipulate transfer prices more freely if market price range is wide, or if its delimitations are difficult to determine. Home taxation of foreign profits can reduce income shifting incentive, depending on the portion of repatriation for tax purposes. We find that the limited tax credit rule tends to be a less efficient measure, nonetheless it is the most widely adopted rule by countries, so to spark the perspective of more powerful approaches for taxation of for...
This paper investigates how concealment costs of transfer pricing and the prob- ability of detectio...
The subject of the scientific work is analysis of the essence of the “transfer pricing” concept. It ...
Thesis (M.Com.)-University of KwaZulu-Natal, Durban, 2004.Many intra-firm transactions are non-marke...
This paper analyzes the optimal level of transfer pricing manipulation when the expected tax penalty...
This note proposes the segregation of independent endogenous and exogenous components of tax penalty...
This paper investigates how concealment costs of transfer pricing and the prob- ability of detectio...
The predominant model of tax induced transfer pricing is based on the assumption that profit shiftin...
This study investigated the effects of government regulations and incentives on the setting of trans...
We review and extend the core literature on international transfer price manipulation to avoid or ev...
In recent years several countries have augmented their national tax laws bytransfer pricing legislat...
As the number of multinational enterprises increases, the number of transactions between entities be...
As the number of multinational enterprises increases, the number of transactions between entities be...
As the number of multinational enterprises increases, the number of transactions between entities be...
This paper analyses the characteristics of transfer pricing systems across countries, in order to id...
Using transfer pricing, U.S. Corporations are able to transfer revenues to foreign affiliates with a...
This paper investigates how concealment costs of transfer pricing and the prob- ability of detectio...
The subject of the scientific work is analysis of the essence of the “transfer pricing” concept. It ...
Thesis (M.Com.)-University of KwaZulu-Natal, Durban, 2004.Many intra-firm transactions are non-marke...
This paper analyzes the optimal level of transfer pricing manipulation when the expected tax penalty...
This note proposes the segregation of independent endogenous and exogenous components of tax penalty...
This paper investigates how concealment costs of transfer pricing and the prob- ability of detectio...
The predominant model of tax induced transfer pricing is based on the assumption that profit shiftin...
This study investigated the effects of government regulations and incentives on the setting of trans...
We review and extend the core literature on international transfer price manipulation to avoid or ev...
In recent years several countries have augmented their national tax laws bytransfer pricing legislat...
As the number of multinational enterprises increases, the number of transactions between entities be...
As the number of multinational enterprises increases, the number of transactions between entities be...
As the number of multinational enterprises increases, the number of transactions between entities be...
This paper analyses the characteristics of transfer pricing systems across countries, in order to id...
Using transfer pricing, U.S. Corporations are able to transfer revenues to foreign affiliates with a...
This paper investigates how concealment costs of transfer pricing and the prob- ability of detectio...
The subject of the scientific work is analysis of the essence of the “transfer pricing” concept. It ...
Thesis (M.Com.)-University of KwaZulu-Natal, Durban, 2004.Many intra-firm transactions are non-marke...