Research background: The way of pricing intra-group transactions (controlled transactions in the terms of transfer pricing) should be in line with the arm´s length principle, whether we consider nationally or transnationally related business entities. If this is not the case, these operations are a tool for earnings management between the companies. It is known that income tax is perceived by businesses as an unproductive withdrawal of own funds without obvious consideration, and therefore managing economic transactions at the level of related-party entities in order to minimize the tax liability is obvious and even expected. Purpose of the article: The aim of the paper is to find out if controlled transactions are used in connection with e...
As the number of multinational enterprises increases, the number of transactions between entities be...
Tax avoidance became a frequently observed practice in a global business environment. Multinational ...
While the accounting literature has extensively studied the role of transfer pricing (TP) within the...
Research background: The way of pricing intra-group transactions (controlled transactions in the ter...
Using transfer pricing, U.S. Corporations are able to transfer revenues to foreign affiliates with a...
The transfer prices, according to which the transactions between taxpayers are valued, are one of th...
Research background: Multinational enterprises (MNEs) employ tax avoidance by ability to use differe...
This paper investigates how concealment costs of transfer pricing and the prob- ability of detection...
Research background: All of the world’s economic relations in today’s world are subject to the proce...
Multinational enterprises (MNEs) employ tax avoidance by ability to use differences in tax systems o...
The subject of the scientific work is analysis of the essence of the “transfer pricing” concept. It ...
This paper analyses how multinational enterprises (MNEs) use transfer pricing methods and royalty pa...
This investigation expects to inspect and analyze the effect of derivative transactions on earnings ...
In conventional accounting literature, `transfer pricing' is portrayed as a technique for optimal al...
Taxation is a mechanism for collecting state revenues and an instrument of a country's fiscal policy...
As the number of multinational enterprises increases, the number of transactions between entities be...
Tax avoidance became a frequently observed practice in a global business environment. Multinational ...
While the accounting literature has extensively studied the role of transfer pricing (TP) within the...
Research background: The way of pricing intra-group transactions (controlled transactions in the ter...
Using transfer pricing, U.S. Corporations are able to transfer revenues to foreign affiliates with a...
The transfer prices, according to which the transactions between taxpayers are valued, are one of th...
Research background: Multinational enterprises (MNEs) employ tax avoidance by ability to use differe...
This paper investigates how concealment costs of transfer pricing and the prob- ability of detection...
Research background: All of the world’s economic relations in today’s world are subject to the proce...
Multinational enterprises (MNEs) employ tax avoidance by ability to use differences in tax systems o...
The subject of the scientific work is analysis of the essence of the “transfer pricing” concept. It ...
This paper analyses how multinational enterprises (MNEs) use transfer pricing methods and royalty pa...
This investigation expects to inspect and analyze the effect of derivative transactions on earnings ...
In conventional accounting literature, `transfer pricing' is portrayed as a technique for optimal al...
Taxation is a mechanism for collecting state revenues and an instrument of a country's fiscal policy...
As the number of multinational enterprises increases, the number of transactions between entities be...
Tax avoidance became a frequently observed practice in a global business environment. Multinational ...
While the accounting literature has extensively studied the role of transfer pricing (TP) within the...