Transnational corporations (TNCs) have long considered transfer pricing as a key tax concern. If stability in transfer pricing is a necessary condition for dynamic cross-border trading, then recent financial reporting changes, updated transfer pricing guidelines, and new reporting requirements for uncertain tax positions are destabilizing influences that must be addressed by companies in order to mitigate their transfer pricing-related exposures and risk. This study reports the results of a survey of tax executives from the four countries comprising the Pacific Association of Tax Administrators (PATA), three of which have transfer pricing regulations based on Organisation for Economic Co-operation and Development (OECD) guidelines. The stud...
Contrary to prior findings, Japanese transnational corporations (TNCs) seem to have changed their pr...
Transfer pricing is often identified as the most important tax issue that multinational corporations...
Transfer pricing has become a major concern for tax authorities and multinational enterprises (MNEs)...
The tax authorities of Australia, Canada, Japan and the United States formed the Pacific Association...
Transfer pricing has become one of the most important contemporary international tax issues. Transfe...
Transfer pricing is one of the principal international taxation issues of the 1990s and potentially ...
This paper investigates the transfer pricing risk awareness of multinational firms using cross-secti...
As the number of multinational enterprises increases, the number of transactions between entities be...
Are concerns about transfer pricing, income shifting, and inequitable tax allocations exaggerated in...
As the number of multinational enterprises increases, the number of transactions between entities be...
The topic is “strengthening transfer pricing audit on foreign-directed investment enterprises”. Tran...
As the number of multinational enterprises increases, the number of transactions between entities be...
The topic is “strengthening transfer pricing audit on foreign-directed investment enterprises”. Tran...
As the number of multinational enterprises increases, the number of transactions between entities be...
As the number of multinational enterprises increases, the number of transactions between entities be...
Contrary to prior findings, Japanese transnational corporations (TNCs) seem to have changed their pr...
Transfer pricing is often identified as the most important tax issue that multinational corporations...
Transfer pricing has become a major concern for tax authorities and multinational enterprises (MNEs)...
The tax authorities of Australia, Canada, Japan and the United States formed the Pacific Association...
Transfer pricing has become one of the most important contemporary international tax issues. Transfe...
Transfer pricing is one of the principal international taxation issues of the 1990s and potentially ...
This paper investigates the transfer pricing risk awareness of multinational firms using cross-secti...
As the number of multinational enterprises increases, the number of transactions between entities be...
Are concerns about transfer pricing, income shifting, and inequitable tax allocations exaggerated in...
As the number of multinational enterprises increases, the number of transactions between entities be...
The topic is “strengthening transfer pricing audit on foreign-directed investment enterprises”. Tran...
As the number of multinational enterprises increases, the number of transactions between entities be...
The topic is “strengthening transfer pricing audit on foreign-directed investment enterprises”. Tran...
As the number of multinational enterprises increases, the number of transactions between entities be...
As the number of multinational enterprises increases, the number of transactions between entities be...
Contrary to prior findings, Japanese transnational corporations (TNCs) seem to have changed their pr...
Transfer pricing is often identified as the most important tax issue that multinational corporations...
Transfer pricing has become a major concern for tax authorities and multinational enterprises (MNEs)...