Transfer Pricing Rules , OECD Guidelines ,
نویسندگان
چکیده
We study the impact of transfer pricing rules on sales prices, firms’ organizational structure, and consumers’ utility within a two-country monopolistic competition model featuring source-based profit taxes that differ across countries. Firms can either become multinationals, i.e., they serve the foreign market through a fully controlled affiliate; or they can become exporters, i.e., they serve the foreign market by contracting with an independent distributor. Compared to the benchmark cases, where tax authorities are either unable to audit firms or where they are able to audit them perfectly, the use of the OECD’s Comparable Uncontrolled Price (CUP) or Cost-Plus (CP) rule distorts firms’ output and pricing decisions. The reason is that the comparable arm’s length transactions between exporters and distributors, which serve as benchmarks, are not efficient. We show that implementing the CUP or CP rules is detrimental to consumers in the low tax country, yet benefits consumers in the high tax country.
منابع مشابه
Transfer Pricing Rules , OECD Guidelines , and Market Distortions Kristian BEHRENS Susana
We study the impact of transfer pricing rules on sales prices, firms’ organizational structure, and consumers’ utility within a two-country monopolistic competition model featuring source-based profit taxes that differ across countries. Firms can either become multinationals, i.e., they serve the foreign market through a fully controlled affiliate; or they can become exporters, i.e., they serve...
متن کاملUnderstanding transfer pricing: a case-based reasoning approach
This paper introduces the domain of transfer pricing, followed by an overview of case-based reasoning. Then, case-based reasoning is used to analyse the results of a questionnaire survey in transfer pricing. Finally, some conclusions are drawn and opportunities for future research identified. corporate goal for MNEs is often perceived to extend Transfer pricing beyond internal objectives to the...
متن کاملIntegration of the profit-split transfer pricing method in the design of global supply chains with a focus on offshoring context
This paper presents an optimization model for the design of global supply chains where the emphasis is made on transfer pricing for both tangible and intangible elements. We adopt the profit split transfer pricing method which is dictated by OECD guidelines and may be accepted by fiscal authorities. The proposed model is particularly suited for the offshoring context. In addition to transfer pr...
متن کاملRedesign of global supply chains with integration of transfer pricing: Mathematical modeling and managerial insights
Unlike the supply chain (SC) design problemwhich deals with the configuration of a new SC, the redesign problem assumes that a SC already exists and focuses on its reconfiguration in order to take profit of the changing logistics, financial, and fiscal advantages offered by each country. First, this requires considering specific decisions and cost factors such as those associated with facility ...
متن کاملCertain Important Aspects of Cost Contribution Arrangements in Financial Management
Cost contribution arrangements (CCAs) and Cost sharing agreements (CCAs) belong to the tools of modern finance management. Costs spend by associated enterprises on developing producing or obtaining assets, services or rights (in general benefits) are used for tax optimizing too. The main purpose of joint research and development, producing or obtaining benefits is to lower these costs as much a...
متن کاملذخیره در منابع من
با ذخیره ی این منبع در منابع من، دسترسی به آن را برای استفاده های بعدی آسان تر کنید
عنوان ژورنال:
دوره شماره
صفحات -
تاریخ انتشار 2009