Intangibles exhibit zero marginal licensing cost, including cross-border intra-firm licensing of intangibles within a MNC. A MNC may not realize the full profit potential of licensing intangibles intra-firm, however, under suboptimal negotiated transfer pricing schemes. Our negotiated transfer pricing bargaining structure unlocks this potential by producing an optimal transfer price and larger optimal intra-firm licensed quantity. Increased licensing of intangibles intra-firm across borders produces a greater potential tax savings/consolidated after-tax profit gain per unit of transfer price adjustment, creating a context where MNCs feel a greater imperative or incentive to move beyond legal tax avoidance toward evasion.Negotiated transfer ...
19.1 When there is a international transaction between say two divisions of a multinational enterpri...
Multinational companies play a very large role in international trade. Not only is there a substanti...
This study examines how spillovers affect a multinational company's choice of an intangible's locati...
We review and extend the core literature on international transfer price manipulation to avoid or ev...
abstract: The price charged between related parties for the transfer of goods, services, or intangib...
We study the efficiency of negotiated transfer pricing for solving a bilateral hold-up problem in a ...
Transfer pricing is relevant in three different contexts: From a managerial perspective, intra-firm ...
Under decentralized decision-making (DDM), how does the multinational corporation (MNC) adjust the t...
Transnational corporations (TNCs) regard transfer pricing as the most important tax issue confrontin...
In the current globalized and knowledge-based economy, intellectual property (IP) and intangible ass...
Transfer pricing can be described as the internal price setting between multinational group companie...
MCom (South African and International Taxation), North-West University, Potchefstroom Campus, 2016It...
Transfer pricing can be used as a strategic instrument to accomplish those objectives that enterpris...
Transfer prices are used by the majority of firms worldwide when intermediate products or services a...
Abstract: The creation, purchase and exploitation of intangible assets especially within multination...
19.1 When there is a international transaction between say two divisions of a multinational enterpri...
Multinational companies play a very large role in international trade. Not only is there a substanti...
This study examines how spillovers affect a multinational company's choice of an intangible's locati...
We review and extend the core literature on international transfer price manipulation to avoid or ev...
abstract: The price charged between related parties for the transfer of goods, services, or intangib...
We study the efficiency of negotiated transfer pricing for solving a bilateral hold-up problem in a ...
Transfer pricing is relevant in three different contexts: From a managerial perspective, intra-firm ...
Under decentralized decision-making (DDM), how does the multinational corporation (MNC) adjust the t...
Transnational corporations (TNCs) regard transfer pricing as the most important tax issue confrontin...
In the current globalized and knowledge-based economy, intellectual property (IP) and intangible ass...
Transfer pricing can be described as the internal price setting between multinational group companie...
MCom (South African and International Taxation), North-West University, Potchefstroom Campus, 2016It...
Transfer pricing can be used as a strategic instrument to accomplish those objectives that enterpris...
Transfer prices are used by the majority of firms worldwide when intermediate products or services a...
Abstract: The creation, purchase and exploitation of intangible assets especially within multination...
19.1 When there is a international transaction between say two divisions of a multinational enterpri...
Multinational companies play a very large role in international trade. Not only is there a substanti...
This study examines how spillovers affect a multinational company's choice of an intangible's locati...