This article asserts that transfer pricing is perhaps the greatest profit shifting problem facing the international tax system. Thus, countries have historically been keen on preventing transfer pricing and on finding effective and efficient methods for allocating revenue that are administratively cost effective for both taxpayers and tax administrators. However, the problem as articulated in this article is that the comparability analysis that underpins the application of the arm’s length principle (ALP) which is applied internationally to curb transfer pricing, continues to be a vexing problem for developing countries due to various conceptual, policy, legislative, administrative and capacity challenges in finding comparable data. Ac...
transfer pricing; cross-border taxation; Kenya; Africa; tax avoidance; base erosion and profit shift...
This Article focuses on the problem of transfer pricing from an international taxation perspective. ...
Our thesis addresses taxation of transfer pricing and the arm’s length principle (ALP) in developing...
Abstract: The absence of domestic databases for transfer pricing comparability analysis in developin...
With the developments happening globally that are aimed at curbing base erosion and profit shifting ...
This article concerns the tax policy and practical challenges that arise from applying the various t...
This article focuses on the problem of transfer pricing from an international taxation perspective. ...
PURPOSE: This study was motivated by the fact that despite several recommendations being proffered ...
The desire for EAC countries to attract MNCs with a view of obtaining tax has brought challenge in c...
The conventional wisdom maintains that the emergence of the International Tax Regime since the 1920’...
Abstract: Transfer pricing is currently a very topical subject and it has been like that for the las...
Transfer pricing refers is a practice that is mainly conducted by Multinational Enterprises to evade...
This article analyses the international tax principles in double tax treaties regarding the allocati...
Transfer pricing manipulation is a worldwide problem which results in a massive loss of revenue whic...
This article addresses some of the fundamental issues behind the current international tax policy de...
transfer pricing; cross-border taxation; Kenya; Africa; tax avoidance; base erosion and profit shift...
This Article focuses on the problem of transfer pricing from an international taxation perspective. ...
Our thesis addresses taxation of transfer pricing and the arm’s length principle (ALP) in developing...
Abstract: The absence of domestic databases for transfer pricing comparability analysis in developin...
With the developments happening globally that are aimed at curbing base erosion and profit shifting ...
This article concerns the tax policy and practical challenges that arise from applying the various t...
This article focuses on the problem of transfer pricing from an international taxation perspective. ...
PURPOSE: This study was motivated by the fact that despite several recommendations being proffered ...
The desire for EAC countries to attract MNCs with a view of obtaining tax has brought challenge in c...
The conventional wisdom maintains that the emergence of the International Tax Regime since the 1920’...
Abstract: Transfer pricing is currently a very topical subject and it has been like that for the las...
Transfer pricing refers is a practice that is mainly conducted by Multinational Enterprises to evade...
This article analyses the international tax principles in double tax treaties regarding the allocati...
Transfer pricing manipulation is a worldwide problem which results in a massive loss of revenue whic...
This article addresses some of the fundamental issues behind the current international tax policy de...
transfer pricing; cross-border taxation; Kenya; Africa; tax avoidance; base erosion and profit shift...
This Article focuses on the problem of transfer pricing from an international taxation perspective. ...
Our thesis addresses taxation of transfer pricing and the arm’s length principle (ALP) in developing...