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Empirical Study of Transfer Pricing and the Intangibles

Empirical Study of Transfer Pricing and the Intangibles PDF Author: Emmanuel Shola Ayeni
Publisher:
ISBN: 9781718191853
Category :
Languages : en
Pages : 320

Book Description
Transfer pricing is an ancient phenomenon with far more consequence in today's business environment. A significant volume of global trade nowadays consists of international transfers of tangibles: goods and services, capital (such as money) and intangibles (such as intellectual property) within an MNE group; such transfers are called "intra-group" transactions which continued to grow exponentially in all international transactions. When these transfers take place, the values of those transfers become significant both to the MNEs and various tax authorities. For tangible goods and services, the values are easily ascertainable and thus, making the transfer pricing methodology less arduous and the framework easily acceptable between the stakeholders. For intangibles, however, the valuation is more complex and the difficulties attendant to transfer pricing are more contentious. It is against this backdrop that this book examines the complexity of transfer pricing of intangibles and the attendant difficulties of the methodology to determining the arm's length principle of any transaction involving intangible assets. This study is an attempt to find ways to placate the frictions between tax authorities and multinational enterprises (MNEs) that Transfer Pricing of intangibles often brings. The objectives of this study are four-fold. First, it compares case laws from the United States and selected jurisdictions - - the United Kingdom, Australia, New Zealand, Italy, and Germany to identify the disparities and similarities of legal opinions on Transfer Pricing of intangibles. Second, it identifies any uniformity in the judicial interpretation of arm's length pricing of intangible assets. Third, it examines the focus of conflicts between tax authorities and multinational enterprises. Fourth, it explores any existing legal solutions that may help placate, or altogether, avoid the frictions between the stakeholders while formulating alternative dispute resolutions. The book provides empirical evidence of Transfer Pricing practices and the attendant difficulties by comparing the judicial review of the conflicts between the stakeholders in the United States, United Kingdom, Australia, Italy, and Germany to show the relative effectiveness, or lack thereof, of judicial intervention. Specifically, the book underscores the judicial uncertainty in the resolution of transfer pricing issue relating to intangibles and explores the use of augmented APAs as alternative resolution of Transfer Pricing issues between the stakeholders.

Empirical Study of Transfer Pricing and the Intangibles

Empirical Study of Transfer Pricing and the Intangibles PDF Author: Emmanuel Shola Ayeni
Publisher:
ISBN: 9781718191853
Category :
Languages : en
Pages : 320

Book Description
Transfer pricing is an ancient phenomenon with far more consequence in today's business environment. A significant volume of global trade nowadays consists of international transfers of tangibles: goods and services, capital (such as money) and intangibles (such as intellectual property) within an MNE group; such transfers are called "intra-group" transactions which continued to grow exponentially in all international transactions. When these transfers take place, the values of those transfers become significant both to the MNEs and various tax authorities. For tangible goods and services, the values are easily ascertainable and thus, making the transfer pricing methodology less arduous and the framework easily acceptable between the stakeholders. For intangibles, however, the valuation is more complex and the difficulties attendant to transfer pricing are more contentious. It is against this backdrop that this book examines the complexity of transfer pricing of intangibles and the attendant difficulties of the methodology to determining the arm's length principle of any transaction involving intangible assets. This study is an attempt to find ways to placate the frictions between tax authorities and multinational enterprises (MNEs) that Transfer Pricing of intangibles often brings. The objectives of this study are four-fold. First, it compares case laws from the United States and selected jurisdictions - - the United Kingdom, Australia, New Zealand, Italy, and Germany to identify the disparities and similarities of legal opinions on Transfer Pricing of intangibles. Second, it identifies any uniformity in the judicial interpretation of arm's length pricing of intangible assets. Third, it examines the focus of conflicts between tax authorities and multinational enterprises. Fourth, it explores any existing legal solutions that may help placate, or altogether, avoid the frictions between the stakeholders while formulating alternative dispute resolutions. The book provides empirical evidence of Transfer Pricing practices and the attendant difficulties by comparing the judicial review of the conflicts between the stakeholders in the United States, United Kingdom, Australia, Italy, and Germany to show the relative effectiveness, or lack thereof, of judicial intervention. Specifically, the book underscores the judicial uncertainty in the resolution of transfer pricing issue relating to intangibles and explores the use of augmented APAs as alternative resolution of Transfer Pricing issues between the stakeholders.

Transfer Pricing of Intangibles

Transfer Pricing of Intangibles PDF Author: Emmanuel Shola Ayeni, PhD
Publisher:
ISBN:
Category :
Languages : en
Pages : 338

Book Description
Transfer pricing is an ancient phenomenon with far more consequence in today's business environment. A significant volume of global trade nowadays consists of international transfers of tangibles: goods and services, capital (such as money) and intangibles (such as intellectual property) within an MNE group; such transfers are called "intra-group" transactions which continued to grow exponentially in all international transactions. When these transfers take place, the values of those transfers become significant both to the MNEs and various tax authorities. For tangible goods and services, the values are easily ascertainable and thus, making the transfer pricing methodology less arduous and the framework easily acceptable between the stakeholders. For intangibles, however, the valuation is more complex and the difficulties attendant to transfer pricing are more contentious. It is against this backdrop that this book examines the complexity of transfer pricing of intangibles and the attendant difficulties of the methodology to determining the arm's length principle of any transaction involving intangible assets. This study is an attempt to find ways to placate the frictions between tax authorities and multinational enterprises (MNEs) that Transfer Pricing of intangibles often brings. The objectives of this study are four-fold. First, it compares case laws from the United States and selected jurisdictions - - the United Kingdom, Australia, New Zealand, Italy, and Germany to identify the disparities and similarities of legal opinions on Transfer Pricing of intangibles. Second, it identifies any uniformity in the judicial interpretation of arm's length pricing of intangible assets. Third, it examines the focus of conflicts between tax authorities and multinational enterprises. Fourth, it explores any existing legal solutions that may help placate, or altogether, avoid the frictions between the stakeholders while formulating alternative dispute resolutions. The book provides empirical evidence of Transfer Pricing practices and the attendant difficulties by comparing the judicial review of the conflicts between the stakeholders in the United States, United Kingdom, Australia, Italy, and Germany to show the relative effectiveness, or lack thereof, of judicial intervention. Specifically, the book underscores the judicial uncertainty in the resolution of transfer pricing issue relating to intangibles and explores the use of augmented APAs as alternative resolution of Transfer Pricing issues between the stakeholders.

Empirical Study of Transfer Pricing and the Intangibles

Empirical Study of Transfer Pricing and the Intangibles PDF Author: Emmanuel Shola Ayeni Ph D
Publisher:
ISBN:
Category :
Languages : en
Pages : 338

Book Description
Transfer pricing is an ancient phenomenon with far more consequence in today's business environment. A significant volume of global trade nowadays consists of international transfers of tangibles: goods and services, capital (such as money) and intangibles (such as intellectual property) within an MNE group; such transfers are called "intra-group" transactions which continued to grow exponentially in all international transactions. When these transfers take place, the values of those transfers become significant both to the MNEs and various tax authorities. For tangible goods and services, the values are easily ascertainable and thus, making the transfer pricing methodology less arduous and the framework easily acceptable between the stakeholders. For intangibles, however, the valuation is more complex and the difficulties attendant to transfer pricing are more contentious. It is against this backdrop that this book examines the complexity of transfer pricing of intangibles and the attendant difficulties of the methodology to determining the arm's length principle of any transaction involving intangible assets. This study is an attempt to find ways to placate the frictions between tax authorities and multinational enterprises (MNEs) that Transfer Pricing of intangibles often brings. The objectives of this study are four-fold. First, it compares case laws from the United States and selected jurisdictions - - the United Kingdom, Australia, New Zealand, Italy, and Germany to identify the disparities and similarities of legal opinions on Transfer Pricing of intangibles. Second, it identifies any uniformity in the judicial interpretation of arm's length pricing of intangible assets. Third, it examines the focus of conflicts between tax authorities and multinational enterprises. Fourth, it explores any existing legal solutions that may help placate, or altogether, avoid the frictions between the stakeholders while formulating alternative dispute resolutions. The book provides empirical evidence of Transfer Pricing practices and the attendant difficulties by comparing the judicial review of the conflicts between the stakeholders in the United States, United Kingdom, Australia, Italy, and Germany to show the relative effectiveness, or lack thereof, of judicial intervention. Specifically, the book underscores the judicial uncertainty in the resolution of transfer pricing issue relating to intangibles and explores the use of augmented APAs as alternative resolution of Transfer Pricing issues between the stakeholders.

The Transfer Pricing of Intangibles

The Transfer Pricing of Intangibles PDF Author: Michelle Markham
Publisher: Kluwer Law International B.V.
ISBN: 9041123687
Category : Law
Languages : en
Pages : 360

Book Description
Transactions involving intellectual property play an increasingly significant role in economic activity at every level from global to local, with particular challenges for taxation and revenue authorities. Moreover, the manifold complexities associated with identifying, valuing and transferring intangibles make this an issue requiring a creative review of existing transfer pricing methodologies and techniques. In this ground-breaking new study, Michelle Markham offers an in-depth examination of attitudes at the forefront of this rapidly evolving area of taxation law, focusing her work on a comparative analysis of the US, OECD, and Australian perspectives on the transfer pricing of intangible assets. The Transfer Pricing of Intangibles not only highlights the current problems encountered in inter-affiliate transactions of intangible property, but also attempts to offer a variety of solutions to these problems. Among the issues explored are the following: how the tax treatment of intangible in the context of transfer pricing has become a major international tax concern;definitional issues which are vital to an understanding of transfer pricing;application of the arm's length principle to intangible asset transactions;determination of legal and economic ownership of group intangible assets;intangible asset valuation and transfer;transfer pricing methodologies;global formulary apportionment;transfer pricing documentation requirements;penalties for non-compliance;resolution of transfer pricing disputes; and,advance pricing agreements Revenue authorities, multinational enterprise executives, and tax practitioners around the world will greatly appreciate the recommendations and solutions proposed in this knowledgeable and thoughtful book. Its acute sense of the opportunities and pitfalls of an ever-more-complex area of economic activity place it in a category of its own, of inestimable benefit to interested parties.

Income Shifting from Transfer Pricing

Income Shifting from Transfer Pricing PDF Author: Michael McDonald
Publisher: CreateSpace
ISBN: 9781505389920
Category :
Languages : en
Pages : 40

Book Description
The paper updates, modifies, and extends research by Grubert (2003) to investigate income shifting from intercompany transfer pricing. The analysis is based on theoretical and regression models developed in Grubert (2003). The models are modified slightly to capture the effects of "real" intercompany tangible, intangible, and services transactions (as opposed to interest 'income stripping' through intercompany or interbranch debt), and extended to incorporate data relating to cost sharing arrangements. Although some caution is required in interpreting the transfer pricing implications from the regression results, the empirical analysis generally supports concerns about potential non-arm's length income shifting under current transfer pricing rules.

Transfer Pricing and Intangibles

Transfer Pricing and Intangibles PDF Author: Michael Lang
Publisher: Linde Verlag GmbH
ISBN: 370941010X
Category : Law
Languages : en
Pages : 176

Book Description
Transfer pricing treatment of intangibles: Issues und developments In recent decades, intangibles have become one of the most relevant success factors for Multinational Enterprises (MNEs). Along with the increasing importance of intangibles for economies, their tax treatment has also been under scrutiny which includes inter alia respective transfer pricing issues. MNEs are seeking for the best ways to optimize their business arrangements with the related intangibles while, at the same time, getting the most tax-efficient treatment. On the other hand, tax authorities have become increasingly concerned with the ease that intangibles can be used in aggressive planning. These concerns have been noticed and addressed by the Organization for Economic Cooperation and Development which presented its main findings with respect to transfer pricing aspects of intangibles in Action 8 of the BEPS Project in 2015 and in the 2017 OECD Transfer Pricing Guidelines. This book is based on the outcomes of the presentations and discussions held during the WU Transfer Pricing Symposium, ‘Transfer Pricing and Intangibles: Current Developments, Relevant Issues and Possible Solutions’, that took place in October 2018 at the WU Vienna University of Economics and Business. The publication discusses the most important issues and recent developments related to transfer pricing treatment of intangibles. Starting with the definition of intangibles, it further deals with topics such as appropriate attribution of intangible-related profits, structuring of intangibles in MNEs, and proper valuation of intangibles. The authors, apart from providing a theoretical background to the discussed issues, also present case studies that show how certain issues can be approached in practice. Every chapter ends with a summary of the discussions held during the panels of the Transfer Pricing Symposium in which representatives of tax administrations, multinationals, and tax advisories presented their opinions on the issues at stake.

A Study of Intercompany Pricing

A Study of Intercompany Pricing PDF Author:
Publisher:
ISBN:
Category : Corporations
Languages : en
Pages : 230

Book Description
The study is divided into four parts; part I gives the history of Sec. 482 and the evolution of issues leading to the 1986 ammendments, part II discusses Congress' 1986 changes to Sec. 482, part III analyzes economic theories for implementing Sec. 482, amd part III examines cost sharing arrangements.

International Transfer Pricing

International Transfer Pricing PDF Author: Monica Boos
Publisher:
ISBN:
Category : Business & Economics
Languages : en
Pages : 288

Book Description
The valuation of intangibles as they are transferred from country to country but within multinational enterprise networks is major issue in taxation.

Tax Transfer Pricing

Tax Transfer Pricing PDF Author: Andrea Musselli
Publisher: Gruppo 24 Ore
ISBN:
Category : Business & Economics
Languages : en
Pages : 446

Book Description
The book pays attention to the tax treatment of transfer pricing in a single perspective of analysis since the most important principles (the arm’s length -ALP- i.e. conditions that independent parties would share, and the sale country) are agreed worldwide. They must be applied in the same way regardless of the economic sector or industry. A country survey overlooks the most important issue of the fiscal problem, that is, the ability to project a unitary policy in compliance with the ALP (or with the sale country principle) and that should be audited by one sole (only theoretically) existing tax authority. The practical part and examples disclose how rules should be/have been applied, how legal proceedings can arise/arose regarding their application , how they were decided if litigation truly occurred, and finally the author’s motivated opinion with special focus on which is “the breaking point” of a specific analysis. The term “breaking point” is used to explain which can be the factual and/or the interpretative change that is able to modify such analysis and thus the solution. Extract from the preface of prof. Reuven Avi-Yonah: “this book is a must read for any serious student of the topic and an important contribution to understanding how the ALP is applied today as well as to how it should be applied. It is an invaluable contribution and should be read widely by both tax lawyers and accountants and by tax policy makers”.

Eurasian Business and Economics Perspectives

Eurasian Business and Economics Perspectives PDF Author: Mehmet Huseyin Bilgin
Publisher: Springer Nature
ISBN: 3031155319
Category : Business & Economics
Languages : en
Pages : 391

Book Description
EBES conferences have been intellectual hub for academic discussion in economics, finance, and business fields and provide network opportunities for participants to make long lasting academic cooperation. This is the 24th volume of the Eurasian Studies in Business and Economics (EBES’s official proceeding series) which includes selected papers from the 37th EBES Conference – Berlin. The conference was jointly organized with the GLO (Global Labour Organization, a global, independent, non-partisan and non-governmental organization based in Germany) with the support of the Istanbul Economic Research Association and in collaboration with the FOM University of Applied Sciences (Germany). Due to COVID-19, the conference presentation mode was virtual. In the conference, 177 papers by 379 colleagues from 54 countries were presented. Both theoretical and empirical papers in this volume cover diverse areas of business, economics, and finance from many different regions. Therefore, it provides a great opportunity to colleagues, professionals, and students to catch up with the most recent studies in different fields and empirical findings on many countries and regions.