Re-Thinking First Principles of Transfer Pricing Rules. Re-Thinking First Principles of Transfer Pricing Rules.

Re-Thinking First Principles of Transfer Pricing Rules‪.‬

Virginia Tax Review 2011, Wntr, 30, 3

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Publisher Description

This article rejects the conventional wisdom that "transfer pricing rules" are designed either to level the playing field between Multi-National Enterprises (MNEs) and medium sized enterprises or to prevent pre-meditated tax evasion by MNEs. Rather, this article posits that "transfer pricing rules" (TPRs) are substitutes for diminished tariff revenue, or imposed artificial mark-ups, shifting costs to ultimate purchasers, and contradicting the fundamental rule of microeconomic theory of firm, maximizing profits by equating marginal cost and marginal revenue. The debate about transfer pricing now centers on tweaking the "arm's length" principle, safe harbor rules, and advance pricing agreements. Lost in this abyss of profound distraction is the question: why a vertically integrated company that need not obtain a profit at each stage of the production process be treated, counter-factually, like a non-vertically integrated company operating on the open market paying higher prices at each stage of the production process. Further support for the claim against transfer pricing rules is that counter-intuitively, transfer pricing inures to the benefit of the integrated producer by inflating accounting costs and permitting the producer to hide economic profit, thereby achieving a result undermining transfer pricing theory and regulation. While this article recognizes that MNE's may abuse transfer prices, Tax Authorities, in their zeal to augment revenue, fad to distinguish among tax abuse, efficient production methods, and pro-growth tax policy. I. INTRODUCTION

GENRE
Business & Personal Finance
RELEASED
2011
January 1
LANGUAGE
EN
English
LENGTH
24
Pages
PUBLISHER
Virginia Tax Review
SELLER
The Gale Group, Inc., a Delaware corporation and an affiliate of Cengage Learning, Inc.
SIZE
140.7
KB
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