This paper considers whether the ‘Amount B’ proposal currently being negotiated in the Inclusive Framework, for the attribution of fixed remuneration for the ‘routine’ distribution and marketing activities of MNE affiliates, may offer a useful template for the re-working of the widely used ‘transactional net margin’ transfer pricing method (TNMM). The TNMM has for years posed severe difficulties for tax administrations around the world, especially in developing countries. The paper focuses especially on two variants of the Amount B proposal which have been offered by Johnson & Johnson and Procter & Gamble, and suggests how a revised TNMM might be expanded to apply to MNE affiliates engaged in activities in addition to marketing and distribu...
MNEs are likely to continue to grow because of factors such as globalisation and electronic commerce...
Tax avoidance by multinational enterprises (MNEs) is a global problem. Most crossborder trade occurs...
international tax, transnational corporations, unitary taxationTaxes are a basis of national states,...
transfer pricing; developing countries; OECD; transactional net margin method (TNMM); base erosion a...
The malfunction of commonly used transfer pricing methods has been central to the problem of base er...
transfer pricing; formulary apportionment; base erosion and profit shifting (BEPS); OECD; IMF.The au...
This article suggests a variant on the proposal for a global anti-base erosion tax (GloBE), which is...
Taxes are a basis of national states, but they have been internationally coordinated since the emerg...
The arm’s-length principle (ALP), the transactions taken place between unrelated parties acting at a...
The recent revelation that many multinational enterprises (MNEs) pay very little tax to the countrie...
Recognizing the reality that multinational corporations are centrally managed and not groups of enti...
International transfer pricing issues are the subject of this paper. The hugeand growing volume of t...
In the permanent race for profitability, Multinational Enterprises (MNEs) seek to reduce their produ...
Our thesis addresses taxation of transfer pricing and the arm’s length principle (ALP) in developing...
Now that the OECD has issued its final guidance on the action 10 profit-split method, individual cou...
MNEs are likely to continue to grow because of factors such as globalisation and electronic commerce...
Tax avoidance by multinational enterprises (MNEs) is a global problem. Most crossborder trade occurs...
international tax, transnational corporations, unitary taxationTaxes are a basis of national states,...
transfer pricing; developing countries; OECD; transactional net margin method (TNMM); base erosion a...
The malfunction of commonly used transfer pricing methods has been central to the problem of base er...
transfer pricing; formulary apportionment; base erosion and profit shifting (BEPS); OECD; IMF.The au...
This article suggests a variant on the proposal for a global anti-base erosion tax (GloBE), which is...
Taxes are a basis of national states, but they have been internationally coordinated since the emerg...
The arm’s-length principle (ALP), the transactions taken place between unrelated parties acting at a...
The recent revelation that many multinational enterprises (MNEs) pay very little tax to the countrie...
Recognizing the reality that multinational corporations are centrally managed and not groups of enti...
International transfer pricing issues are the subject of this paper. The hugeand growing volume of t...
In the permanent race for profitability, Multinational Enterprises (MNEs) seek to reduce their produ...
Our thesis addresses taxation of transfer pricing and the arm’s length principle (ALP) in developing...
Now that the OECD has issued its final guidance on the action 10 profit-split method, individual cou...
MNEs are likely to continue to grow because of factors such as globalisation and electronic commerce...
Tax avoidance by multinational enterprises (MNEs) is a global problem. Most crossborder trade occurs...
international tax, transnational corporations, unitary taxationTaxes are a basis of national states,...