This Article focuses on the problem of transfer pricing from an international taxation perspective. It elaborates two major points using game theory as a theoretical framework. First, it argues that both developed and developing countries are facing the same fundamental problem in the transfer pricing arena; the meaning of the arm’s length standard (ALS) is increasingly unknowable because of the absence of transfer pricing case law with public good features. Second, this Article proposes a solution to the transfer pricing problem within the ALS framework. The proposal consists of a procedural, rather than a substantive, system in which multilateral advance pricing agreements (APAs) are used to produce a proxy for case law with public good f...
This article asserts that transfer pricing is perhaps the greatest profit shifting problem facing th...
In a world where money and power become increasingly important, firms, especially multinationals ent...
Avec la mondialisation, les groupes de sociétés ont multiplié les transactions internationales et, d...
This article focuses on the problem of transfer pricing from an international taxation perspective. ...
The conventional wisdom maintains that the emergence of the International Tax Regime since the 1920’...
This article addresses some of the fundamental issues behind the current international tax policy de...
The paper aims to highlight the importance of transfer pricing in the international economic environ...
This article will examine the significance of transfer pricing. Further, it will review, as an examp...
This paper will provide a brief history of the problems which transfer pricing issues have caused fo...
Transfer pricing is one of the principal international taxation issues of the 1990s and potentially ...
La fixation du prix de pleine concurrence par les administrations fiscales des pays en développement...
Our thesis addresses taxation of transfer pricing and the arm’s length principle (ALP) in developing...
This essay argues that the complete harmonisation of transfer pricing rules with the arm’s length pr...
This paper analyses the characteristics of transfer pricing systems across countries, in order to id...
In 1988, the US Treasury Department published a study of inter-company pricing (the \u27White Paper\...
This article asserts that transfer pricing is perhaps the greatest profit shifting problem facing th...
In a world where money and power become increasingly important, firms, especially multinationals ent...
Avec la mondialisation, les groupes de sociétés ont multiplié les transactions internationales et, d...
This article focuses on the problem of transfer pricing from an international taxation perspective. ...
The conventional wisdom maintains that the emergence of the International Tax Regime since the 1920’...
This article addresses some of the fundamental issues behind the current international tax policy de...
The paper aims to highlight the importance of transfer pricing in the international economic environ...
This article will examine the significance of transfer pricing. Further, it will review, as an examp...
This paper will provide a brief history of the problems which transfer pricing issues have caused fo...
Transfer pricing is one of the principal international taxation issues of the 1990s and potentially ...
La fixation du prix de pleine concurrence par les administrations fiscales des pays en développement...
Our thesis addresses taxation of transfer pricing and the arm’s length principle (ALP) in developing...
This essay argues that the complete harmonisation of transfer pricing rules with the arm’s length pr...
This paper analyses the characteristics of transfer pricing systems across countries, in order to id...
In 1988, the US Treasury Department published a study of inter-company pricing (the \u27White Paper\...
This article asserts that transfer pricing is perhaps the greatest profit shifting problem facing th...
In a world where money and power become increasingly important, firms, especially multinationals ent...
Avec la mondialisation, les groupes de sociétés ont multiplié les transactions internationales et, d...