The purpose of this thesis is to analyze the notion of risk as set out in Issues Notes 1, in the document “Transfer Pricing Aspects of Business Restructurings: Discussion Draft for Public Comment”. Furthermore, the approach of this draft is compared with the authorized OECD approach, established in the 2010 Report on the Attribution of Profits to Permanent Establishments. German law on transfer pricing provisions will also be examined to see whether domestic provisions could make a good example in allocating risks, as a supplement to the guidance from the OECD. Issues Notes 1 has been subject for a debate as to how it should be interpreted and whether the provisions laid down in the document provide the tax authorities of contracting states...
The international taxation of multinational enterprises (MNEs) stands under public and political pre...
Transfer pricing between related parties and its issues As the globalization of the world continues,...
Transfer pricing has become one of the most important contemporary international tax issues. Transfe...
The purpose of this thesis is to analyze the notion of risk as set out in Issues Notes 1, in the doc...
Business restructurings within multinational enterprises (MNEs) are regular occurrences. Such restru...
The purpose of this thesis is to analyse and compare the transfer pricing approaches held by the OEC...
Enterprises when transacting with each other, are not subjected to the same market forces as indepen...
The number of multinational enterprises has increased substantially. In part due to the integration ...
Transfer pricing can be described as the internal price setting between multinational group companie...
In a world where money and power become increasingly important, firms, especially multinationals ent...
Throughout this thesis three main factors have been identified that can be out of significance for t...
The OECD Guidelines stipulates that a business restructuring resulting in shifted profit potential ...
Cross border business restructuring by multinational corporations is not a strange word any more. It...
The OECD Unified Approach under Pillar One deviates from the existing international business tax rul...
Current curricula in management accounting stress the role of transfer pricing as a tool for measuri...
The international taxation of multinational enterprises (MNEs) stands under public and political pre...
Transfer pricing between related parties and its issues As the globalization of the world continues,...
Transfer pricing has become one of the most important contemporary international tax issues. Transfe...
The purpose of this thesis is to analyze the notion of risk as set out in Issues Notes 1, in the doc...
Business restructurings within multinational enterprises (MNEs) are regular occurrences. Such restru...
The purpose of this thesis is to analyse and compare the transfer pricing approaches held by the OEC...
Enterprises when transacting with each other, are not subjected to the same market forces as indepen...
The number of multinational enterprises has increased substantially. In part due to the integration ...
Transfer pricing can be described as the internal price setting between multinational group companie...
In a world where money and power become increasingly important, firms, especially multinationals ent...
Throughout this thesis three main factors have been identified that can be out of significance for t...
The OECD Guidelines stipulates that a business restructuring resulting in shifted profit potential ...
Cross border business restructuring by multinational corporations is not a strange word any more. It...
The OECD Unified Approach under Pillar One deviates from the existing international business tax rul...
Current curricula in management accounting stress the role of transfer pricing as a tool for measuri...
The international taxation of multinational enterprises (MNEs) stands under public and political pre...
Transfer pricing between related parties and its issues As the globalization of the world continues,...
Transfer pricing has become one of the most important contemporary international tax issues. Transfe...