Multinational entities have many possibilities to utilise the global tax scheme by rearranging their business activities internally within the global entity. An increasing parts of value of the nowadays MNEs intra-group transactions are obtained particularly from intellectual property rights transfers and utilisation. An intangible’s location can easily be changed from its operational location to a central location, where it becomes subject to another tax jurisdiction and, therefore, intellectual property rights are often seen as a facilitators for MNEs’ global profit shifting. As intangibles do not have a physical form, transfers do not require anything other than contractual restructurings. The location choice may produce significant tax...
In the current globalized and knowledge-based economy, intellectual property (IP) and intangible ass...
While transfer pricing has risen to the forefront of international tax issues in the last two decade...
Transnational corporations (TNCs) regard transfer pricing as the most important tax issue confrontin...
Transfer pricing can be described as the internal price setting between multinational group companie...
Intangible assets, like patents and trademarks, are increasingly seen as the key to competitive succ...
Intangible assets, like patents and trademarks, are increasingly seen as the key to competitive succ...
Intangible assets, like patents and trademarks, are increasingly seen as the key to competitive succ...
Intangible assets are one major source of profit shifting opportunities due to a highly intransparen...
Intangible assets are one major source of profit shifting opportunities due to a highly intransparen...
This study examines how spillovers affect a multinational company's choice of an intangible's locati...
Intangible assets, like patents and trademarks, are increasingly seen as the key to competitive succ...
As has been pointed out by tax authorities and others, a firm operating in several countries is ofte...
Numerous empirical studies have analysed the influence of corporate taxation on the location of inta...
Im Laufe der letzten Jahre machten multinationale Konzerne fortwährend Schlagzeilen mit ihren, oft s...
The phenomenon of global fragmented production and associated trade in intermediate products, includ...
In the current globalized and knowledge-based economy, intellectual property (IP) and intangible ass...
While transfer pricing has risen to the forefront of international tax issues in the last two decade...
Transnational corporations (TNCs) regard transfer pricing as the most important tax issue confrontin...
Transfer pricing can be described as the internal price setting between multinational group companie...
Intangible assets, like patents and trademarks, are increasingly seen as the key to competitive succ...
Intangible assets, like patents and trademarks, are increasingly seen as the key to competitive succ...
Intangible assets, like patents and trademarks, are increasingly seen as the key to competitive succ...
Intangible assets are one major source of profit shifting opportunities due to a highly intransparen...
Intangible assets are one major source of profit shifting opportunities due to a highly intransparen...
This study examines how spillovers affect a multinational company's choice of an intangible's locati...
Intangible assets, like patents and trademarks, are increasingly seen as the key to competitive succ...
As has been pointed out by tax authorities and others, a firm operating in several countries is ofte...
Numerous empirical studies have analysed the influence of corporate taxation on the location of inta...
Im Laufe der letzten Jahre machten multinationale Konzerne fortwährend Schlagzeilen mit ihren, oft s...
The phenomenon of global fragmented production and associated trade in intermediate products, includ...
In the current globalized and knowledge-based economy, intellectual property (IP) and intangible ass...
While transfer pricing has risen to the forefront of international tax issues in the last two decade...
Transnational corporations (TNCs) regard transfer pricing as the most important tax issue confrontin...