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Transfer Pricing and Corporate Taxation

Problems, Practical Implications and Proposed Solutions

  • Book
  • © 2009

Overview

  • Discusses economic underlyings of existing methods and proposes alternatives

  • Detailed analysis of case studies drawn on the author’s professional experience

  • Enables professionals in companies to perform transfer pricing analyses

  • Incorporates the new US services regulations issued in July 2006 and the new cost-sharing regulation expected to be published late 2007/early 2008

  • Includes supplementary material: sn.pub/extras

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Table of contents (13 chapters)

  1. Introduction

  2. Economic and Accounting Rates and Concepts Should Not be Conflated

  3. Alternative and Supplementary Approaches to Transfer Pricing

  4. Case Studies

  5. Conclusions

Keywords

About this book

National tax authorities individually determine multinational ?rms’ country-speci?c tax liabilities by applying one or more sanctioned transfer pricing methodologies. These methodologies are founded on basic assumptions about market structure and ?rm behavior that are rarely empirically valid. Moreover, for the most part, the transfer pricing methodologies now in vogue were developed before the Internet became a dominant factor in the world economy, and hedge and private equity funds transformed ?nancial and commodities markets. For these reasons, multinational ?rms are unable to accurately anticipate their tax liabilities in individual countries, and remain at risk of double taxation. Uncertainties in corporate tax liability are extremely costly, both for individual corporations and from an economy-wide perspective. Firms pay exorbitant fees to have tax attorneys, accountants and economists prepare the documentation required by tax authorities to substantiate their intercompany pricing practices and defend their tax positions on audit. Corporate tax liabilities are also potentially much higher than they would be under a more transparent and predictable transfer pricing regime (due to the potential for double taxation and penalties), and investors’ returns are reduced accordingly. The FASB’s Interpretation No. 48, Accounting for Uncertainty in Income Taxes (released on July 13, 2006), has motivated multinational ?rms to increase their reserves substantially (in many cases at the insistence of their au- tors), reducing the total funds available for productive investment. 1 The current transfer pricing regimes are embodied in the OECD Guidelines, individual OECD member countries’ interpretations thereof, the U. S.

Reviews

From the reviews:

“The book of Elizabeth King is written for the benefit of tax practitioners. The focus is on the various transfer pricing cases. The case studies reflect in particular the US views as for example the FIN 48 specifications. We recommend this book to tax advisors and inhouse tax specialists handling transfer pricing aspects in particular related to the US.” (Steuern-buecher, September, 2012)

Authors and Affiliations

  • Beecher Consulting, Brookline, USA

    Elizabeth King

Bibliographic Information

  • Book Title: Transfer Pricing and Corporate Taxation

  • Book Subtitle: Problems, Practical Implications and Proposed Solutions

  • Authors: Elizabeth King

  • DOI: https://doi.org/10.1007/978-0-387-78183-9

  • Publisher: Springer New York, NY

  • eBook Packages: Business and Economics, Business and Management (R0)

  • Copyright Information: Springer-Verlag New York 2009

  • Hardcover ISBN: 978-0-387-78182-2Published: 14 October 2008

  • Softcover ISBN: 978-1-4419-2678-4Published: 29 October 2010

  • eBook ISBN: 978-0-387-78183-9Published: 11 October 2008

  • Edition Number: 1

  • Number of Pages: XIV, 194

  • Topics: Business Taxation/Tax Law, Accounting/Auditing, Commercial Law

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