Guide to international transfer pricing : law, tax planning and compliance strategies /
In this book, global practitioners address both the general issues that surround transfer pricing, including the OECD's fifteen-item base erosion and profit shifting plan and the specific rules and issues that any company must concern itself with in various jurisdictions around the world. Tax a...
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Corporate Authors: | |
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Published: |
Wolters Kluwer,
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Publisher Address: | Alphen aan den Rijn, The Netherlands : |
Publication Dates: | [2017] |
Literature type: | Book |
Language: | English |
Edition: | Seventh edition. |
Subjects: | |
Summary: |
In this book, global practitioners address both the general issues that surround transfer pricing, including the OECD's fifteen-item base erosion and profit shifting plan and the specific rules and issues that any company must concern itself with in various jurisdictions around the world. Tax authorities around the globe are increasingly scrutinizing the intercompany pricing practices of taxpayers and enacting rules and regulations to ensure an appropriate allocation of income among the various tax jurisdictions in which a multinational company operates. In addition, a growing number of tax authorities have established documentation requirements to demonstrate appropriate transfer pricing policies, with penalty provisions for non-compliance. |
Item Description: | Edition statement from cover. |
Carrier Form: | lxx, 951 pages : illustrations ; 25 cm |
Bibliography: | Includes bibliographical references and index. |
ISBN: |
9789041190499 904119049X |
Index Number: | K4550 |
CLC: | D912.29 |
Call Number: | D912.29/G946/7th ed. |
Contents: |
Overview/best practices / OECD transfer pricing guidelines / Argentina / Australia / Belgium / Brazil / Canada / China / France / Germany / Ireland / Israel / Italy / Mexico / The Netherlands / South Korea / United Kingdom / United States / |