This paper examines the issue of transfer pricing with particular reference to Japanese multinational companies against the background of recent press reports alleging the misuse of this pricing mechanism to locate artificially group profits in countries where a tax advantage may be obtained. The chief allegation seems to be that companies set out deliberately to engineer a pricing structure which results in a sales l purchase price which is artificially lowlhigh for goods which, typically, are traded across one or more national boundaries. This is in practice difficult to prove, and tax authorities normally seek to make adjustments based on attempts to establish a 'fair' or 'arm's length' price for goods for which an independent market sel...
Transfer pricing is a topical subject because it has a strong impact on affiliated companies as well...
Transfer pricing are the prices at which a company transfers physical goods and intangible property ...
Transfer pricing is a classic issue in taxation field, related to international transaction which is...
This paper examines the issue of transfer pricing with particular reference to Japanese multinationa...
This paper forms one of a series examining aspects of transfer pricing from a Japanese perspective. ...
This article will examine the significance of transfer pricing. Further, it will review, as an examp...
Contrary to prior findings, Japanese transnational corporations (TNCs) seem to have changed their pr...
This paper discusses the three major methods of determining the transfer price for goods traded with...
For the last decades, transfer pricing has been one of the most important issues for both tax author...
Transfer pricing is one of the principal international taxation issues of the 1990s and potentially ...
This paper analyzes the effect of statutory tax rates on the location of Japanese capital in emergin...
ABSTRACT Multinational Corporations have seen transfer pricing as a handy tool to achieving their ...
"Today, transfer pricing is about the a/location of income of a multinational enterprise between nat...
This paper examines the difficulties facing tax authorities in valuing cross-border flows from a tra...
The last 20 years have been characterized by a dramatic growth of the multinational enterprise (MNE)...
Transfer pricing is a topical subject because it has a strong impact on affiliated companies as well...
Transfer pricing are the prices at which a company transfers physical goods and intangible property ...
Transfer pricing is a classic issue in taxation field, related to international transaction which is...
This paper examines the issue of transfer pricing with particular reference to Japanese multinationa...
This paper forms one of a series examining aspects of transfer pricing from a Japanese perspective. ...
This article will examine the significance of transfer pricing. Further, it will review, as an examp...
Contrary to prior findings, Japanese transnational corporations (TNCs) seem to have changed their pr...
This paper discusses the three major methods of determining the transfer price for goods traded with...
For the last decades, transfer pricing has been one of the most important issues for both tax author...
Transfer pricing is one of the principal international taxation issues of the 1990s and potentially ...
This paper analyzes the effect of statutory tax rates on the location of Japanese capital in emergin...
ABSTRACT Multinational Corporations have seen transfer pricing as a handy tool to achieving their ...
"Today, transfer pricing is about the a/location of income of a multinational enterprise between nat...
This paper examines the difficulties facing tax authorities in valuing cross-border flows from a tra...
The last 20 years have been characterized by a dramatic growth of the multinational enterprise (MNE)...
Transfer pricing is a topical subject because it has a strong impact on affiliated companies as well...
Transfer pricing are the prices at which a company transfers physical goods and intangible property ...
Transfer pricing is a classic issue in taxation field, related to international transaction which is...