The article examined the transfer pricing methodologies in tax compliance and audit adjustment in the U.S. The development of tansfer pricing regulations in China was taken into account. The difference between transaction-based approach and profit-based approach were analyzed. Brief description and information about the comparable uncontrolled price method and cost-plus method is further presented. The policy safeguarding the resale price method and profit split methods was scrutinized as the sample descriptions and research design
Transfer pricing is one of the principal international taxation issues of the 1990s and potentially ...
Contrary to prior findings, Japanese transnational corporations (TNCs) seem to have changed their pr...
The tax authorities of Australia, Canada, Japan and the United States formed the Pacific Association...
The article examined the transfer pricing methodologies in tax compliance and audit adjustment in th...
This research studies how Chinese tax authorities implement international transfer pricing legislati...
With the increasing integration of the Chinese market into the global economy, China’s tax policy on...
Transfer pricing is often identified as the most important tax issue that multinational corporations...
This paper examines the impact of managerial autonomy on tax compliance in an international transfer...
Transfer pricing has become a major concern for tax authorities and multinational enterprises (MNEs)...
The topic is “strengthening transfer pricing audit on foreign-directed investment enterprises”. Tran...
The study discusses several things, including the factors that influence the determination of transf...
This article will examine the significance of transfer pricing. Further, it will review, as an examp...
The paper deals with the methods used by companies for controlled transactions in services. The auth...
Tax authorities in several countries have intensified their surveillance of intercompany transfer pr...
This paper discusses the three major methods of determining the transfer price for goods traded with...
Transfer pricing is one of the principal international taxation issues of the 1990s and potentially ...
Contrary to prior findings, Japanese transnational corporations (TNCs) seem to have changed their pr...
The tax authorities of Australia, Canada, Japan and the United States formed the Pacific Association...
The article examined the transfer pricing methodologies in tax compliance and audit adjustment in th...
This research studies how Chinese tax authorities implement international transfer pricing legislati...
With the increasing integration of the Chinese market into the global economy, China’s tax policy on...
Transfer pricing is often identified as the most important tax issue that multinational corporations...
This paper examines the impact of managerial autonomy on tax compliance in an international transfer...
Transfer pricing has become a major concern for tax authorities and multinational enterprises (MNEs)...
The topic is “strengthening transfer pricing audit on foreign-directed investment enterprises”. Tran...
The study discusses several things, including the factors that influence the determination of transf...
This article will examine the significance of transfer pricing. Further, it will review, as an examp...
The paper deals with the methods used by companies for controlled transactions in services. The auth...
Tax authorities in several countries have intensified their surveillance of intercompany transfer pr...
This paper discusses the three major methods of determining the transfer price for goods traded with...
Transfer pricing is one of the principal international taxation issues of the 1990s and potentially ...
Contrary to prior findings, Japanese transnational corporations (TNCs) seem to have changed their pr...
The tax authorities of Australia, Canada, Japan and the United States formed the Pacific Association...