Multinational Enterprises (MNEs) operating in Australia should pay taxes in Australia on profits made in Australia. However, MNEs are routinely under paying tax in Australia and abroad, by shifting their profits to no and low tax jurisdictions, with devastating effects on government revenues. The Australian tax laws with respect to the taxation of MNE’s operating in Australia, called transfer pricing rules, are being modernised. The modernisation is aimed at ensuring that the Australian rules are aligned with the recent changes made to similar rules promulgated by the OECD. Changing the transfer pricing rules will not prevent MNE’s from avoiding tax into the future. This article will demonstrate that changing the rules will be as effective ...
In an increasingly global economy, base erosion and profit shifting (BEPS) has allowed multinational...
As the number of multinational enterprises increases, the number of transactions between entities be...
In response to developments in international trade and an increased focus on international transfer-...
Against the background of a global focus on base erosion and profit shifting and well-publicised cas...
This paper analyses how multinational enterprises (MNEs) use transfer pricing methods and royalty pa...
While transfer pricing has risen to the forefront of international tax issues in the last two decade...
In a world where money and power become increasingly important, firms, especially multinationals ent...
Transfer pricing is one of the principal international taxation issues of the 1990s and potentially ...
MNEs are likely to continue to grow because of factors such as globalisation and electronic commerce...
On 1 November 2011 the Minister for Financial Services and Superannuation, the Honourable Bill Short...
The Article presents information on the abuse of transfer pricing by multinational enterprises and t...
As defined, transfer pricing is the setting of price for goods and services or intangible assets sol...
Australia’s domestic income tax legislation and double tax agreements contain transfer pricing rules...
Neither an international tax, nor an international taxing body exists. Rather, there are domestic t...
In the six years since the then Chief of Staff of the JCT pronounced transfer pricing enforcement to...
In an increasingly global economy, base erosion and profit shifting (BEPS) has allowed multinational...
As the number of multinational enterprises increases, the number of transactions between entities be...
In response to developments in international trade and an increased focus on international transfer-...
Against the background of a global focus on base erosion and profit shifting and well-publicised cas...
This paper analyses how multinational enterprises (MNEs) use transfer pricing methods and royalty pa...
While transfer pricing has risen to the forefront of international tax issues in the last two decade...
In a world where money and power become increasingly important, firms, especially multinationals ent...
Transfer pricing is one of the principal international taxation issues of the 1990s and potentially ...
MNEs are likely to continue to grow because of factors such as globalisation and electronic commerce...
On 1 November 2011 the Minister for Financial Services and Superannuation, the Honourable Bill Short...
The Article presents information on the abuse of transfer pricing by multinational enterprises and t...
As defined, transfer pricing is the setting of price for goods and services or intangible assets sol...
Australia’s domestic income tax legislation and double tax agreements contain transfer pricing rules...
Neither an international tax, nor an international taxing body exists. Rather, there are domestic t...
In the six years since the then Chief of Staff of the JCT pronounced transfer pricing enforcement to...
In an increasingly global economy, base erosion and profit shifting (BEPS) has allowed multinational...
As the number of multinational enterprises increases, the number of transactions between entities be...
In response to developments in international trade and an increased focus on international transfer-...