The purpose of this master’s thesis is to explain and analyze whether today’s existing regulations provide sufficient guidance on how to apply the Profit Split Method (PSM) in practice. Since the enterprises’ profits arising from intra-group transactions increases, the tax base for any government also becomes larger and more important. This issue will likely become even more problematic as the globalization branches out and the majority of the global trade is undertaken between associated enterprises. In order to satisfy all parts and serve the dual objective of securing an appropriate tax base in each jurisdiction and avoiding double taxation, one ambition of the OECD is to harmonize the transfer pricing rules and make them become more uni...
Throughout this thesis three main factors have been identified that can be out of significance for t...
From a financial perspective transfer pricing is probably the most important tax issue in the world....
Transfer pricing is often identified as the most important tax issue that multinational corporations...
The purpose of this master’s thesis is to explain and analyze whether today’s existing regulations p...
With the OECD issuance in June 2018 of its final guidance on the profit split method, individual cou...
Now that the OECD has issued its final guidance on the action 10 profit-split method, individual cou...
With the OECD issuance in June 2018 of its final guidance on the profit split method, individual cou...
The profit split method in its current form is a relatively new part of the OECD transfer pricing gu...
In a highly integrated world where new technologies are disrupting the market, taxation and transfer...
Recognizing the reality that multinational corporations are centrally managed and not groups of enti...
The arm’s-length principle (ALP), the transactions taken place between unrelated parties acting at a...
Transfer Pricing represents the non-operational challenge having the strongest impact on a Group's r...
International taxation is concerned mainly with the equitable allocation of cross-border income betw...
The OECD Unified Approach under Pillar One deviates from the existing international business tax rul...
Transfer prices are used by the majority of firms worldwide when intermediate products or services a...
Throughout this thesis three main factors have been identified that can be out of significance for t...
From a financial perspective transfer pricing is probably the most important tax issue in the world....
Transfer pricing is often identified as the most important tax issue that multinational corporations...
The purpose of this master’s thesis is to explain and analyze whether today’s existing regulations p...
With the OECD issuance in June 2018 of its final guidance on the profit split method, individual cou...
Now that the OECD has issued its final guidance on the action 10 profit-split method, individual cou...
With the OECD issuance in June 2018 of its final guidance on the profit split method, individual cou...
The profit split method in its current form is a relatively new part of the OECD transfer pricing gu...
In a highly integrated world where new technologies are disrupting the market, taxation and transfer...
Recognizing the reality that multinational corporations are centrally managed and not groups of enti...
The arm’s-length principle (ALP), the transactions taken place between unrelated parties acting at a...
Transfer Pricing represents the non-operational challenge having the strongest impact on a Group's r...
International taxation is concerned mainly with the equitable allocation of cross-border income betw...
The OECD Unified Approach under Pillar One deviates from the existing international business tax rul...
Transfer prices are used by the majority of firms worldwide when intermediate products or services a...
Throughout this thesis three main factors have been identified that can be out of significance for t...
From a financial perspective transfer pricing is probably the most important tax issue in the world....
Transfer pricing is often identified as the most important tax issue that multinational corporations...