This is the first book to present a sustained analysis and critique of arm's length based transfer pricing rules following the G20 / OECD Base Erosion and Profit Shifting (BEPS) project. The book considers the nature and scope of transfer pricing rules based on the arm's length principle starting with an explanation of how the rules were created and how they evolved over time. It provides how internationally accepted transfer pricing rules were applied immediately prior to the BEPS project, and describes the principal problems that had arisen with those rules. The issues highlighted include problems relating to the complexity of the rules, the use and availability of comparables, and, in particular, problems permitting avoidance and inc...
This article focuses on the problem of transfer pricing from an international taxation perspective. ...
A revised and updated version of the 1995 article (Va. Tax Review) on the evolution of US transfer p...
This paper analyzes incentives of a multinational enterprise to manipulate an internal transfer pric...
This essay argues that the complete harmonisation of transfer pricing rules with the arm’s length pr...
The OECD’s Base Erosion and Profit Shifting (BEPS) project deals, among others, with aggressive tran...
The arm’s length principle has been the allocation rule for income between associated enterprises fo...
Via a global analysis of more than 180 transfer pricing cases from 20 representative jurisdictions, ...
This article addresses some of the fundamental issues behind the current international tax policy de...
Transfer pricing is an important issue for transnational enterprises (TNEs) seeking to comply with t...
Generally, the ALP in TP regulations is widely applied in order to prevent price manipulation which ...
This master’s thesis deals with the transfer pricing of intangibles and focuses on the U.S. standard...
From a financial perspective transfer pricing is probably the most important tax issue in the world....
In a world where money and power become increasingly important, firms, especially multinationals ent...
In 1988, the US Treasury Department published a study of inter-company pricing (the \u27White Paper\...
In a highly integrated world where new technologies are disrupting the market, taxation and transfer...
This article focuses on the problem of transfer pricing from an international taxation perspective. ...
A revised and updated version of the 1995 article (Va. Tax Review) on the evolution of US transfer p...
This paper analyzes incentives of a multinational enterprise to manipulate an internal transfer pric...
This essay argues that the complete harmonisation of transfer pricing rules with the arm’s length pr...
The OECD’s Base Erosion and Profit Shifting (BEPS) project deals, among others, with aggressive tran...
The arm’s length principle has been the allocation rule for income between associated enterprises fo...
Via a global analysis of more than 180 transfer pricing cases from 20 representative jurisdictions, ...
This article addresses some of the fundamental issues behind the current international tax policy de...
Transfer pricing is an important issue for transnational enterprises (TNEs) seeking to comply with t...
Generally, the ALP in TP regulations is widely applied in order to prevent price manipulation which ...
This master’s thesis deals with the transfer pricing of intangibles and focuses on the U.S. standard...
From a financial perspective transfer pricing is probably the most important tax issue in the world....
In a world where money and power become increasingly important, firms, especially multinationals ent...
In 1988, the US Treasury Department published a study of inter-company pricing (the \u27White Paper\...
In a highly integrated world where new technologies are disrupting the market, taxation and transfer...
This article focuses on the problem of transfer pricing from an international taxation perspective. ...
A revised and updated version of the 1995 article (Va. Tax Review) on the evolution of US transfer p...
This paper analyzes incentives of a multinational enterprise to manipulate an internal transfer pric...