Tax policy influences the ability of United States businesses to compete internationally. The 1986 Tax Reform Act amended section 482 of the Internal Revenue Code, imposing on United States corporations a new standard for pricing intercompany transfers of intangibles. This new standard deviates from the traditional arm\u27s length standard. It is strict and unpredictable, creating taxpayer uncertainty and discouraging corporations from investing abroad. In contrast to the United States, Japan\u27s tax policy attempts to alleviate uncertainty and double taxation. This Note compares Japanese and United States tax policies to demonstrate the detrimental impact the amendment to section 482 will have on the competitiveness of United States busin...
Contrary to prior findings, Japanese transnational corporations (TNCs) seem to have changed their pr...
As the number of multinational enterprises increases, the number of transactions between entities be...
This paper examines the issue of transfer pricing with particular reference to Japanese multinationa...
Tax policy influences the ability of United States businesses to compete internationally. The 1986 T...
abstract: The price charged between related parties for the transfer of goods, services, or intangib...
Transnational corporations (TNCs) regard transfer pricing as the most important tax issue confrontin...
Globalization and the rapid increase of international capital movements made the issue of how to tax...
Tax authorities in several countries have intensified their surveillance of intercompany transfer pr...
In 1988, the US Treasury Department published a study of inter-company pricing (the \u27White Paper\...
This article will examine the significance of transfer pricing. Further, it will review, as an examp...
Various business entities are found in today's business community, however, such varieties of busine...
While transfer pricing has risen to the forefront of international tax issues in the last two decade...
Tax is a cost of doing business. The focus of this investigation is the total direct taxes incurred ...
Purpose Both, the UK and Japan abolished the tax credit system for foreign source dividends in 2009 ...
For the last decades, transfer pricing has been one of the most important issues for both tax author...
Contrary to prior findings, Japanese transnational corporations (TNCs) seem to have changed their pr...
As the number of multinational enterprises increases, the number of transactions between entities be...
This paper examines the issue of transfer pricing with particular reference to Japanese multinationa...
Tax policy influences the ability of United States businesses to compete internationally. The 1986 T...
abstract: The price charged between related parties for the transfer of goods, services, or intangib...
Transnational corporations (TNCs) regard transfer pricing as the most important tax issue confrontin...
Globalization and the rapid increase of international capital movements made the issue of how to tax...
Tax authorities in several countries have intensified their surveillance of intercompany transfer pr...
In 1988, the US Treasury Department published a study of inter-company pricing (the \u27White Paper\...
This article will examine the significance of transfer pricing. Further, it will review, as an examp...
Various business entities are found in today's business community, however, such varieties of busine...
While transfer pricing has risen to the forefront of international tax issues in the last two decade...
Tax is a cost of doing business. The focus of this investigation is the total direct taxes incurred ...
Purpose Both, the UK and Japan abolished the tax credit system for foreign source dividends in 2009 ...
For the last decades, transfer pricing has been one of the most important issues for both tax author...
Contrary to prior findings, Japanese transnational corporations (TNCs) seem to have changed their pr...
As the number of multinational enterprises increases, the number of transactions between entities be...
This paper examines the issue of transfer pricing with particular reference to Japanese multinationa...