Transfer Pricing Methods An Applications Guide
Penulis
: ROBERT FEINSCHREIBER
Subyek
: Transfer Pricing Methods An Applications Guide
Penerbit
: John Wiley & Sons, Inc. - Canada
Ringkasan :Transfer pricing, for tax purposes, is the pricing of intercompany transactions
that take place between affiliated businesses. The transfer pricing process determines
the amount of income that each party earns from that transaction. Taxpayers
and the taxing authorities focus exclusively on related-party transactions,
which are termed controlled transactions, and have no direct impact on independent-party
transactions, which are termed uncontrolled transactions. Transactions,
in this context, are determined broadly, and include sales, licensing, leasing, services,
and interest.
The concept of an international corporate headquarters of a multinational corporation
that uses transfer pricing to minimize worldwide taxation is no longer
viable. Two impediments limit the use of transfer pricing to achieve tax minimization:
(1) the tax authorities are intent on their own revenue maximization by thwarting
the taxpayer’s tax minimization plans, and (2) nontax considerations may be
more significant in taxation than taxation.
Daftar copy :
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No. Rak |
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00169171 |
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TIDAK DIPINJAMKAN |
Diproses dalam : 0.14982008934021 detik