Multinational financial institutions (MNFIs) play a significant role in financing the activities of their clients in developing nations. Consistent with the ‘follow-the-customer’ phenomenon which explains financial institution expansion, these entities are increasingly profiting from activities associated with this growing market. However, not only are MNFIs persistent users of tax havens, but also, more than other industries, have the opportunity to reduce tax through transfer pricing measures. This paper establishes a case for an industry-specific adoption of unitary taxation with formulary apportionment as a viable alternative to the current regime. In doing so, it considers the practicalities of implementing this by examining both defin...
This article seeks to re-examine the formulary alternative to transfer pricing by inquiring whether ...
China’s transfer pricing regime and investigations into transfer pricingissues gained momentum in th...
This paper seeks to re-examine the formulary alternative to transfer pricing by inquiring whether pa...
international tax; unitary taxation; formulary apportionment; multinational banks; developing nation...
As stated in Part 1 of this article, formulary appointment does not attempt to undertake a transacti...
The taxation of multinational banks is currently governed by general principles of international tax...
Martini JT, Niemann R, Simons D. Transfer Pricing or Formula Apportionment? Tax-Induced Distortions ...
This paper explores the issues raised for international tax rules of explicitly treating multination...
The taxation of the income derived from financial assets and transactions was always a daunting blac...
This thesis argues that one type of multinational entity – the multinational bank – poses particular...
For mitigating the problems of transfer pricing formula apportionment (FA) is discussed intensively....
How to determine the amount of income of essentially integrated multi-jurisdictional business entiti...
The adoption of formulary apportionment is viewed as a key potential paradigm shift in the internati...
Any proposal to adopt unitary taxation (UT) of multinationals has to contend with whether such taxat...
China’s transfer pricing regime and investigations into transfer pricing issues gained momentum in t...
This article seeks to re-examine the formulary alternative to transfer pricing by inquiring whether ...
China’s transfer pricing regime and investigations into transfer pricingissues gained momentum in th...
This paper seeks to re-examine the formulary alternative to transfer pricing by inquiring whether pa...
international tax; unitary taxation; formulary apportionment; multinational banks; developing nation...
As stated in Part 1 of this article, formulary appointment does not attempt to undertake a transacti...
The taxation of multinational banks is currently governed by general principles of international tax...
Martini JT, Niemann R, Simons D. Transfer Pricing or Formula Apportionment? Tax-Induced Distortions ...
This paper explores the issues raised for international tax rules of explicitly treating multination...
The taxation of the income derived from financial assets and transactions was always a daunting blac...
This thesis argues that one type of multinational entity – the multinational bank – poses particular...
For mitigating the problems of transfer pricing formula apportionment (FA) is discussed intensively....
How to determine the amount of income of essentially integrated multi-jurisdictional business entiti...
The adoption of formulary apportionment is viewed as a key potential paradigm shift in the internati...
Any proposal to adopt unitary taxation (UT) of multinationals has to contend with whether such taxat...
China’s transfer pricing regime and investigations into transfer pricing issues gained momentum in t...
This article seeks to re-examine the formulary alternative to transfer pricing by inquiring whether ...
China’s transfer pricing regime and investigations into transfer pricingissues gained momentum in th...
This paper seeks to re-examine the formulary alternative to transfer pricing by inquiring whether pa...