Transfer pricing (TP) has for a long time been an important tax issue, however it is only within the past decade that it has gotten the attention it deserves. This since more and more corporations becomes globalized. When setting a TP within a multinational enterprise (MNE) it is important to consider the arm’s length principle. The reason for this is that all countries, involved in an internal transaction, are entitled to their fair share of tax revenues. The principle implies that when performing a transaction within a MNE, the price used shall be set on the same circumstances as if the transaction was performed between independent actors. Corporations which do not set their TPs in accordance with the arm’s length principle face the ris...
I was previously Director of Mutual Agreement Procedures, National Tax Agency ('NTA'), in Japan. Thi...
Economic globalization impacts to the increase of International transactions. The Company does not b...
Transfer pricing may be described as the process by which related entities set prices at which they ...
Transfer pricing (TP) has for a long time been an important tax issue, however it is only within t...
In recent years transfer pricing has become one of the most important issues for tax authorities and...
Skatteverket (The Swedish Tax Authority) has by order from the Swedish government investigated the p...
The globalization, the international trade and the number of multinational enterprises have continue...
Transfer pricing is an important issue for transnational enterprises (TNEs) seeking to comply with t...
This paper explores the disparities existing between multinational corporations (MNCs) and tax admin...
The requirement in many OECD countries for "contemporaneous documentation" of a taxpayer's transfer ...
According to the arm’s length principle, transactions between associated multinational en-terprises ...
Economic globalization impacts to the increase of international transactions. The Company does not b...
Transfer pricing is one of the principal international taxation issues of the 1990s and potentially ...
Double taxation is one of the biggest challenges faced by multinational corporations, especially whe...
Australia’s domestic income tax legislation and double tax agreements contain transfer pricing rules...
I was previously Director of Mutual Agreement Procedures, National Tax Agency ('NTA'), in Japan. Thi...
Economic globalization impacts to the increase of International transactions. The Company does not b...
Transfer pricing may be described as the process by which related entities set prices at which they ...
Transfer pricing (TP) has for a long time been an important tax issue, however it is only within t...
In recent years transfer pricing has become one of the most important issues for tax authorities and...
Skatteverket (The Swedish Tax Authority) has by order from the Swedish government investigated the p...
The globalization, the international trade and the number of multinational enterprises have continue...
Transfer pricing is an important issue for transnational enterprises (TNEs) seeking to comply with t...
This paper explores the disparities existing between multinational corporations (MNCs) and tax admin...
The requirement in many OECD countries for "contemporaneous documentation" of a taxpayer's transfer ...
According to the arm’s length principle, transactions between associated multinational en-terprises ...
Economic globalization impacts to the increase of international transactions. The Company does not b...
Transfer pricing is one of the principal international taxation issues of the 1990s and potentially ...
Double taxation is one of the biggest challenges faced by multinational corporations, especially whe...
Australia’s domestic income tax legislation and double tax agreements contain transfer pricing rules...
I was previously Director of Mutual Agreement Procedures, National Tax Agency ('NTA'), in Japan. Thi...
Economic globalization impacts to the increase of International transactions. The Company does not b...
Transfer pricing may be described as the process by which related entities set prices at which they ...