Transfer Pricing and Multinational Enterprises

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August 15, 2024 | History

Transfer Pricing and Multinational Enterprises

The OECD Transfer Pricing Guidelines for Multinational Enterprises and Tax Administrations provide guidance on the application of the "arm’s length principle", which is the international consensus on transfer pricing, i.e. on the valuation, for tax purposes, of cross-border transactions between associated enterprises. In a global economy where multinational enterprises (MNEs) play a prominent role, transfer pricing is high on the agenda of tax administrators and taxpayers alike. Governments need to ensure that the taxable profits of MNEs are not artificially shifted out of their jurisdictions and that the tax base reported by MNEs in their respective countries reflect the economic activity undertaken therein.

For taxpayers, it is essential to limit the risks of economic double taxation that may result from a dispute between two countries on the determination of an arm’s length remuneration for their cross-border transactions with associated enterprises.  Following this original 1979 publication, the OECD Transfer Pricing Guidelines were approved by the OECD Council in their original version in 1995. A limited update was made in this 2009 edition, primarily to reflect the adoption, in the 2008 update of the Model Tax Convention, of a new paragraph 5 of Article 25 dealing with arbitration, and of changes to the Commentary on Article 25 on mutual agreement procedures to resolve cross-border tax disputes.

A subsequent edition was released in 2010, in which, Chapters I-III were substantially revised, with new guidance on: the selection of the most appropriate transfer pricing method to the circumstances of the case; the practical application of transactional profit methods (transactional net margin method and profit split method); and on the performance of comparability analyses. Furthermore, a new Chapter IX, on the transfer pricing aspects of business restructurings, was added. Consistency changes were made to the rest of the Guidelines. Digitised document - Electronic release on 24/11/2011.

Publish Date
Publisher
OECD Publishing
Language
English
Pages
100

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Cover of: Transfer Pricing and Multinational Enterprises
Transfer Pricing and Multinational Enterprises
1979, OECD Publishing
electronic resource / in English

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Book Details


Table of Contents

Preface
Chapter 1. Summary of Problems
-The Arm's Length Principle
General considerations
Relevant texts already published by the OECD
Chapter 2. Goods
-Introduction
The general principle of arm's length and its application in special situations
Methods of ascertaining an arm's length price
Chapter 3. Technology and Trademarks
-Scope of the chapter
Transfers of technology
Transfer pricing aspects of use of trademarks
Chapter 4. Certain Intra-Group Services
-Introduction
Services in a group of associated enterprises
Treatment for tax purposes of intra-group services
Summary of conclusions
Chapter 5. Loans
-Preliminary remarks
Scope of the chapter
Definition of loans
The general principle of arm's length pricing and its application in special situations
The rate of interest
Final remarks
Annex. Recommendation of the OECD Council

Edition Notes

Published in
Paris

The Physical Object

Format
[electronic resource] /
Pagination
100 p.
Number of pages
100

Edition Identifiers

Open Library
OL53207773M
ISBN 13
9789264167773

Work Identifiers

Work ID
OL39091315W

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