There is an overlap between the transfer pricing concepts that apply under tax and under customs regimes. This thesis aims to demonstrate (i) that customs and tax laws often share common principles in respect of related-party transactions; (ii) that transfer pricing as agreed to under one discipline should be recognized under the other; (iii) that the OECD Transfer Pricing Guidelines constitute a body of rules that is appropriate to supplement the related party provisions of the GATT/WTO Valuation Code ("GVC"); and (iv) that such guidelines are generally in accordance with the provisions of the GVC and its general principles and objectives. This thesis also analyzes the tax and customs value of imported goods, and identifies which additions...
The concept of economic value is not well explored nor consistently applied in the field of taxation...
This report, prepared by Deloitte Touche Tohmatsu transfer pricing specialists with the funding of t...
Via a global analysis of more than 180 transfer pricing cases from 20 representative jurisdictions, ...
Transfer pricing and EU customs law are regulated by two separate sets of rules. Ultimately, the obj...
The purpose of this master’s thesis is to examine and analyse how a transfer pricing adjustment is m...
Tax issues pertaining to cross-border trade in goods between related parties (i.e., companies from t...
2022-update of the Dutch chapter in a book that discusses the intricate role of transfer pricing and...
Although related-party transactions account for the majority of the international trade transactions...
The determination of the value of an imported product, the valuation , plays a significant role for...
Although related party transactions account for most of the international trade transactions, they p...
Mestrado em Contabilidade, Fiscalidade e Finanças EmpresariaisThis master thesis intends to examine ...
Transfer pricing are the prices at which a company transfers physical goods and intangible property ...
Transfer pricing between related parties and its issues As the globalization of the world continues,...
Transfer pricing Abstract The thesis focuses on transfer pricing which falls within a scope of inter...
This paper considers transfer pricing in VAT/GST and direct taxes, one of a range of tax relationshi...
The concept of economic value is not well explored nor consistently applied in the field of taxation...
This report, prepared by Deloitte Touche Tohmatsu transfer pricing specialists with the funding of t...
Via a global analysis of more than 180 transfer pricing cases from 20 representative jurisdictions, ...
Transfer pricing and EU customs law are regulated by two separate sets of rules. Ultimately, the obj...
The purpose of this master’s thesis is to examine and analyse how a transfer pricing adjustment is m...
Tax issues pertaining to cross-border trade in goods between related parties (i.e., companies from t...
2022-update of the Dutch chapter in a book that discusses the intricate role of transfer pricing and...
Although related-party transactions account for the majority of the international trade transactions...
The determination of the value of an imported product, the valuation , plays a significant role for...
Although related party transactions account for most of the international trade transactions, they p...
Mestrado em Contabilidade, Fiscalidade e Finanças EmpresariaisThis master thesis intends to examine ...
Transfer pricing are the prices at which a company transfers physical goods and intangible property ...
Transfer pricing between related parties and its issues As the globalization of the world continues,...
Transfer pricing Abstract The thesis focuses on transfer pricing which falls within a scope of inter...
This paper considers transfer pricing in VAT/GST and direct taxes, one of a range of tax relationshi...
The concept of economic value is not well explored nor consistently applied in the field of taxation...
This report, prepared by Deloitte Touche Tohmatsu transfer pricing specialists with the funding of t...
Via a global analysis of more than 180 transfer pricing cases from 20 representative jurisdictions, ...