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Transfer Pricing in a Post-BEPS World

Transfer Pricing in a Post-BEPS World

Hardcover

Series: Eucotax European Taxation

General Law

ISBN10: 9041167102
ISBN13: 9789041167101
Publisher: Kluwer Law International
Published: Aug 25 2016
Pages: 240
Weight: 1.65
Height: 0.70 Width: 6.30 Depth: 9.70
Language: English

EUCOTAX Series on European Taxation Volume 50

The OECD's Base Erosion and Profit Shifting (BEPS) project promises to make effective inroads into the much criticized corporate tax strategy known as aggressive transfer pricing, whereby the profitability of subsidiaries in different jurisdictions is managed via mispricing with the intent of minimizing the corporation's overall tax burden. Although the OECD BEPS project is an ongoing endeavor, its accomplishments to date and developing trends are discernible. This book, including contributions by outstanding and renowned transfer pricing experts both from practice and academia, analyses these trends, and proposes reforms which would ensure that transfer pricing outcomes are better aligned with economic activities and value creation, which achieves a more equitable distribution of profits among different countries.

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General Law