Transfer Pricing and the Arm's Length Principle After BEPS
Oxford University Press (Verlag)
978-0-19-880291-4 (ISBN)
This is the first book to present a sustained analysis and critique of arm's length based transfer pricing rules following the G20 / OECD Base Erosion and Profit Shifting (BEPS) project. The book considers the nature and scope of transfer pricing rules based on the arm's length principle starting with an explanation of how the rules were created and how they evolved over time. It provides how internationally accepted transfer pricing rules were applied immediately prior to the BEPS project, and describes the principal problems that had arisen with those rules.
The issues highlighted include problems relating to the complexity of the rules, the use and availability of comparables, and, in particular, problems permitting avoidance and income shifting, including problems related to low tax entities with 'excessive capital'. Having described the pre-BEPS rules and inherent problems, the book goes on to examine the extent to which the work undertaken by the BEPs project provides a solid foundation for future transfer pricing determinations and the problems that remain after BEPS. It identifies those issues on which the BEPS output has been positive, and also those issues which BEPS has not successfully addressed and which remain problematic.
This book is the most detailed and up-to-date publication on this highly topical and often controversial topic.
Richard Collier is an Associate Fellow at the Centre for Business Taxation in Oxford and is heavily involved in tax policy work. Previously he was a senior tax partner at PwC, specializing in financial sector tax and transfer pricing and permanent establishment issues. Richard is also a qualified barrister and chartered accountant and holds a Ph.D. in law. Joseph L Andrus was the Head of the Transfer Pricing Unit at the OECD until his retirement in 2014. He was responsible for directing all of the OECD work in transfer pricing including the transfer pricing portions of the OECD project on corporate Base Erosion and Profit Shifting. He is also a member of the United Nations Subcommittee on Transfer Pricing. Prior to joining the OECD, Joseph had 35 years of experience as an advisor on transfer pricing matters. He was a transfer pricing partner at PwC and at Baker & McKenzie, and served in the mid-1980s as Deputy International Tax Counsel at the US Treasury Department He is an attorney and holds a J.D. degree from the University of Chicago Law School.
Introduction
1: The Emergence of the ALP
2: The Development of the ALP
3: Practical Application of the Arm's Length Principle
4: Practical and Theoretical Problems Encountered in Applying the Arm's Length Principle
5: Capital
6: BEPS Modifications to Transfer Pricing Rules
7: Evaluation of BEPS Transfer Pricing Measures
8: Prospects for the ALP After BEPS
Erscheinungsdatum | 26.08.2017 |
---|---|
Verlagsort | Oxford |
Sprache | englisch |
Maße | 178 x 253 mm |
Gewicht | 742 g |
Themenwelt | Recht / Steuern ► EU / Internationales Recht |
Recht / Steuern ► Steuern / Steuerrecht | |
Recht / Steuern ► Wirtschaftsrecht ► Bank- und Kapitalmarktrecht | |
Recht / Steuern ► Wirtschaftsrecht ► Handelsrecht | |
Wirtschaft | |
ISBN-10 | 0-19-880291-9 / 0198802919 |
ISBN-13 | 978-0-19-880291-4 / 9780198802914 |
Zustand | Neuware |
Haben Sie eine Frage zum Produkt? |
aus dem Bereich