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12.08.2021 | History

3 edition of Fundamentals of International Transfer Pricing in Law and Economics found in the catalog.

Fundamentals of International Transfer Pricing in Law and Economics

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      • Source title: Fundamentals of International Transfer Pricing in Law and Economics (MPI Studies in Tax Law and Public Finance)

        StatementSpringer
        PublishersSpringer
        Classifications
        LC ClassificationsApr 13, 2014
        The Physical Object
        Paginationxvi, 75 p. :
        Number of Pages98
        ID Numbers
        ISBN 103642434282
        Series
        1nodata
        2
        3

        nodata File Size: 1MB.


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Fundamentals of Transfer Pricing Guide

With regard to this topic, this volume is the first to offer a concise analysis of transfer pricing in the international tax arena from an interdisciplinary legal and economic point of view.

The taxation of multinational corporate groups has become a major concern in the academic and political debate on the future of international taxation. 506 a Electronic access restricted to Villanova University patrons 650 0 a Transfer pricing x Taxation x Law and legislation.

I understand that my personal information will be processed for this purpose in the United States where CCH Incorporated operates. Illustrations note 5 Tables, black and white; XIV, 306 p. t The OECD Approach to Transfer Pricing -- t Soft Law, Hard Realities and Pragmatic Suggestions: Critiquing the OECD Transfer Pricing Guidelines -- t The OECD Approach to Transfer Pricing: A Critical Assessment and Proposal -- t OECD Guidelines: Causes and Consequences -- t Reflecting on the "Arm's Length Principle": What is the "Principle"?

Fundamentals of Transfer Pricing Guide

Transfer Pricing and Intangibles XII.operated through CCH Incorporated and its affiliate Kluwer Law International, so that I can create an account to store my contact information and order history to facilitate ecommerce transactions.

Appreciate the mechanisms for avoidance and resolution of transfer pricing disputes, including advance pricing agreements, the mutual agreement procedure and arbitration under the European Arbitration Convention and under Tax Treaties This course covers, in detail, the fundamentals of international transfer pricing, as it relates to direct, or income, taxation.

t The OECD Approach to Transfer Pricing -- t Soft Law, Hard Realities and Pragmatic Suggestions: Critiquing the OECD Transfer Pricing Guidelines -- t The OECD Approach to Transfer Pricing: A Critical Assessment and Proposal -- t OECD Guidelines: Causes and Consequences -- t Reflecting on the "Arm's Length Principle": What is the "Principle"? Transfer Pricing Methods Part II : Transactional Profit Methods V.

With regard to this topic, this volume is the first to offer a concise analysis of transfer pricing in the international tax arena from an interdisciplinary legal and economic point of view. Transfer Pricing in the Courts: A Cross-Country Comparison• 653 4 a Commercial law. 300 a 1 online resource xiii, 304 p. Documents for International Business and Economics: Law and Policy 1996 ed.