This article seeks to re-examine the formulary alternative to transfer pricing by inquiring whether partial integration of formulary concepts into current practices would offer a reasonable alternative to transfer pricing rules. We believe that the key to achieving an equitable and efficient allocation of MNE income is to solve the problem of the residual, i.e., how to allocate income generated from mobile assets and activities whose risks are borne collectively by the entire MNE group. These assets and activities generate most of the current transfer pricing compliance and administrative costs, as well as tax avoidance opportunities. A limited formulary tax regime that allocates only the residual portion of MNE income may therefore offer s...
Multinational financial institutions (MNFIs) play a significant role in financing the activities of ...
As stated in Part 1 of this article, formulary appointment does not attempt to undertake a transacti...
Formulary apportionment is a method to allocate taxing rights of states. It is different from the OE...
This paper seeks to re-examine the formulary alternative to transfer pricing by inquiring whether pa...
From an international perspective, formulary apportionment has traditionally been viewed as little m...
The adoption of formulary apportionment is viewed as a key potential paradigm shift in the internati...
Martini JT, Niemann R, Simons D. Transfer Pricing or Formula Apportionment? Tax-Induced Distortions ...
The European Union has discussed the idea of a potential shift from a system of dividing the EU sour...
While there have been few decided cases under the 1995 Transfer Pricing regulations and the OECD Gui...
This paper demonstrates that under conditions of imperfect (oligopolistic) competition, a transition...
I examine one way of taxing international corporate income that has not previously been studied, “re...
The international accepted standard today, which is used for tax purposes to attribute profits betwe...
Given the unique products and the complex global structure of some MNEs, the economic substance of t...
This is the author accepted manuscriptA decade ago, the arm’s length principle on which transfer pri...
For mitigating the problems of transfer pricing formula apportionment (FA) is discussed intensively....
Multinational financial institutions (MNFIs) play a significant role in financing the activities of ...
As stated in Part 1 of this article, formulary appointment does not attempt to undertake a transacti...
Formulary apportionment is a method to allocate taxing rights of states. It is different from the OE...
This paper seeks to re-examine the formulary alternative to transfer pricing by inquiring whether pa...
From an international perspective, formulary apportionment has traditionally been viewed as little m...
The adoption of formulary apportionment is viewed as a key potential paradigm shift in the internati...
Martini JT, Niemann R, Simons D. Transfer Pricing or Formula Apportionment? Tax-Induced Distortions ...
The European Union has discussed the idea of a potential shift from a system of dividing the EU sour...
While there have been few decided cases under the 1995 Transfer Pricing regulations and the OECD Gui...
This paper demonstrates that under conditions of imperfect (oligopolistic) competition, a transition...
I examine one way of taxing international corporate income that has not previously been studied, “re...
The international accepted standard today, which is used for tax purposes to attribute profits betwe...
Given the unique products and the complex global structure of some MNEs, the economic substance of t...
This is the author accepted manuscriptA decade ago, the arm’s length principle on which transfer pri...
For mitigating the problems of transfer pricing formula apportionment (FA) is discussed intensively....
Multinational financial institutions (MNFIs) play a significant role in financing the activities of ...
As stated in Part 1 of this article, formulary appointment does not attempt to undertake a transacti...
Formulary apportionment is a method to allocate taxing rights of states. It is different from the OE...