Transfer Pricing Litigation Trends and Dispute Resolution Mechanisms

Transfer Pricing Litigation Trends and Dispute Resolution Mechanisms
Author: S.K. Bilaney
Publisher:
Total Pages:
Release: 2017
Genre:
ISBN:

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Transfer pricing is one of the most litigious areas of taxation. This article discusses transfer pricing litigation trends in India and various dispute resolution mechanisms available to taxpayers for resolving transfer pricing disputes. In addition, analyses of statistical data relating to results achieved by various dispute resolution mechanisms are also presented.

Transfer Pricing and Dispute Resolution

Transfer Pricing and Dispute Resolution
Author: Anuschka Bakker
Publisher: IBFD
Total Pages: 807
Release: 2011
Genre: Dispute resolution (Law).
ISBN: 9087221002

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This book addresses the complexity, valuation and administrative nuances, and cultural impacts of resolving this significant cross-border issue when tax disputes arise. In recent years, transfer pricing has become in financial terms the most important tax issue faced by multinational companies and tax authorities worldwide. In times of economic downturn, as experienced in recent years, when tax authorities are challenged for revenue, the handling of these issues requires great care, skill, creativity and a true awareness of the ramifications confronting each tax jurisdiction. This book sets out in detail not only the general laws in each tax jurisdiction impacted by the multinational companies' transfer pricing practices, but also the ancillary concerns of how the issue is interpreted locally as well as related to the OECD Guidelines; the varied approaches to administrative resolution of these issues, including specific alternative dispute resolution mechanisms and the effective uses of advance pricing agreements; correlative adjustment procedures in the event of transfer pricing adjustments; cross-border exchange of information concerns; and how to proceed to litigation if all else fails administratively. It is here that the book delves into the specific procedures for litigation in each country which must be evaluated as part of the overall strategy for controversy resolution. Unfortunately, today litigation is on the rise in numerous jurisdictions and the presumption of an administrative resolution is no longer correct. An additional feature of this book is how practical anecdotes are intertwined into the analysis to give the reader a sense of pragmatism for these issues. To this point, there are the various case studies which highlight the technicalities of the local rules, customs, and practices.

Resolving Transfer Pricing Disputes

Resolving Transfer Pricing Disputes
Author: Eduardo Baistrocchi
Publisher: Cambridge University Press
Total Pages: 975
Release: 2012-12-06
Genre: Law
ISBN: 1139916289

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Via a global analysis of more than 180 transfer pricing cases from 20 representative jurisdictions, Resolving Transfer Pricing Disputes explains how the law on transfer pricing operates in practice and examines how disputes between taxpayers and tax administrations are dealt with around the world. It has been designed to be an essential complement to the OECD Transfer Pricing Guidelines for Multinational Enterprises and Tax Administrations, which focus on transfer pricing issues but do not refer to specific transfer pricing disputes. All of the transfer pricing cases discussed in the book are linked to the relevant paragraphs of the OECD Guidelines by means of a 'Golden Bridge', namely a table listing the cases according to the paragraphs of the Guidelines to which they refer. It therefore provides examples of the application of the Arm's Length Principle in many settings on all continents.

Dispute Resolution Under Tax Treaties

Dispute Resolution Under Tax Treaties
Author: Zvi Daniel Altman
Publisher: IBFD
Total Pages: 498
Release: 2005
Genre: Arbitration and award, International
ISBN: 9076078947

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As the interrelationship among tax bases continues to parallel the rapid development of the global economy, disputes among governments as to their right to tax international trade and investments under income tax treaties are expected to increase in number and scope. This study takes an in-depth look at the mechanisms used to resolve such disputes and how they interact with the interests of the various parties involved in the process. The study presents an analysis of the available literature, supplemented by statistical data from North America, Europe and Asia. Analysis of this data leads to interesting insights into the way the dispute resolution process functions when it is applied in different contexts. A comprehensive common framework of analysis, based on a checklist for governments, international organizations and taxpayers, is also developed in the study. This framework lists the main advantages and disadvantages of treaty-related international income tax dispute resolution procedures. The checklist is formulated with the aim to assist readers informing policies and in arguing positions, taking into account the subjective value given by each reader to each listed item. The study concludes by suggesting the creation of a new mechanism for the resolution of tax treaty-related disputes, and advocates, in part, the establishment of a new international organization with links to domestic judicial networks. This mechanism is then subjected to the same common framework analysis and checklist used in earlier parts of the study. The analysis suggests how such a mechanism would mitigate some of the most formidable challenges associated with the current dispute resolution procedures.

Transfer Pricing

Transfer Pricing
Author: David Wallen Chodikoff
Publisher:
Total Pages: 670
Release: 2017
Genre: International business enterprises
ISBN: 9780414062856

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This is a cross-jurisdictional reference book covering over 38 jurisdictions. It is split into two sections. Part one focuses upon transfer pricing. It gives the legislative framework, national policies and administrative approaches to transfer pricing; case law - current and past; penalties; special or notable cases related to penalties and finally, national and relevant international dispute resolution mechanisms. Part two is focused upon providing an overview of tax avoidance (and even more specifically, abusive tax avoidance). In order to help distinguish between legitimate tax avoidance plans or schemes, the first section identifies plans that remain valid as legitimate ways to minimize tax. Defining abusive tax avoidance is the second section - some nations are still struggling to define a satisfactory definition or parameters that constitute abusive tax avoidance. Other states have fully outlined the scope of abusive tax avoidance. The third section deals with the legislative framework. Followed by a section on case law and following that a section on penalties and finally, a section on current trends. This last section covers current national policy and legal trends and how international policies have in any way effected/shaped a jurisdiction's national policies.

Transfer Pricing and Tax Avoidance

Transfer Pricing and Tax Avoidance
Author: David Wallen Chodikoff
Publisher:
Total Pages: 0
Release: 2014-10-03
Genre: International business enterprises
ISBN: 9780414033504

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This is a cross-jurisdictional reference book covering over 30 jurisdictions. It is split into two sections. Part one focuses upon transfer pricing. It gives the legislative framework, national policies and administrative approaches to transfer pricing; case law - current and past; penalties; special or notable cases related to penalties and finally, national and relevant international dispute resolution mechanisms. Part two is focused upon providing an overview of tax avoidance (and even more specifically, abusive tax avoidance). In order to help distinguish between legitimate tax avoidance plans or schemes, the first section identifies plans that remain valid as legitimate ways to minimize tax. Defining abusive tax avoidance is the second section - some nations are still struggling to define a satisfactory definition or parameters that constitute abusive tax avoidance. Other states have fully outlined the scope of abusive tax avoidance. The third section deals with the legislative framework. Followed by a section on case law and following that a section on penalties and finally, a section on current trends. This last section covers current national policy and legal trends and how international policies have in any way effected/shaped a jurisdiction's national policies.

Fundamentals of Transfer Pricing

Fundamentals of Transfer Pricing
Author: Michael Lang
Publisher: Kluwer Law International B.V.
Total Pages: 484
Release: 2021-06-18
Genre: Law
ISBN: 9403517247

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Transfer pricing is one of the most relevant and challenging topics in international taxation. Over the last century, nearly every country in the world introduced transfer pricing rules into their domestic legislation. Indeed, it was estimated that profit shifting generated by the improper application of transfer pricing rules has resulted in global tax losses worth USD 500 billion for governments – 20% of all corporate tax revenues. It is thus imperative that all tax professionals thoroughly understand the nature of transfer pricing and how the growing body of applicable rules works in practice. In this crucially significant volume, stakeholders from government, multinational companies, international organisations, advisory groups and academia offer deeply informed perspectives, both general and specific, on the practical application of transfer pricing rules, taking into consideration all the most recent developments. With approximately 160 practical examples and 90 relevant international judicial precedents, the presentation proceeds from general to more specialised topics. Such aspects of the subject as the following are thoroughly analysed: what is transfer pricing and the purpose of transfer pricing rules; the arm’s length principle and its application; the consequences of a transaction not being in accordance with the arm’s length principle; the transfer pricing methods; the mechanisms to avoid and resolve disputes; the transfer pricing documentation; the attribution of profits to permanent establishments; the transfer pricing aspects of specific transactions, such as services, financing, intangibles and business restructurings. The application of transfer pricing legislation is arguably the most difficult task that taxpayers and tax authorities around the world must face. With this authoritative source of practical guidance, government officials, tax lawyers, in-house tax counsel, academics, advisory firms, the business community and other stakeholders worldwide will have all the detail they need to move forward in tackling this thorny aspect of the current tax environment.

Transfer Pricing & Dispute Resolution

Transfer Pricing & Dispute Resolution
Author: David Rosenbloom
Publisher:
Total Pages:
Release: 2015
Genre: Dispute resolution (Law)
ISBN:

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Consists of the first three chapters of the 2011 edition which have been updated based on information available up to 15 September, 1 August, and 31 July 2014, respectively.

The Changed Landscape of Tax Dispute Resolution Within the EU : Consideration of the Directive on Tax Dispute Resolution Mechanisms

The Changed Landscape of Tax Dispute Resolution Within the EU : Consideration of the Directive on Tax Dispute Resolution Mechanisms
Author: H.M. Pit
Publisher:
Total Pages:
Release: 2019
Genre:
ISBN:

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With the Council's adoption of the Directive on Tax Dispute Resolution Mechanisms on 10 October 2017, the resolution of tax disputes among Member States enters a new phase. What originally started in 1976 with a proposal for a directive to settle transfer pricing disputes by means of arbitration has led to the adoption of a directive in 2017 for all disputes among Member States on the interpretation and application of their mutual tax treaties on income and capital. This Directive aims at improving existing dispute resolution mechanisms contained in these tax treaties and the EU Arbitration Convention. To that end, four specific objectives have been defined in the directive's preamble, which are (1) broadening the scope of application of the EU Arbitration Convention to all disputes concerning the application and interpretation of tax treaties between Member States; (2) ensuring legal certainty for taxpayers; (3) ensuring effectiveness and efficiency; and (4) ensuring transparency. This article examines whether each of these objectives is attained in light of the experiences gained with the EU Arbitration Convention.

Group Transactions, Transfer Pricing and Litigation: Evidence from Portugal

Group Transactions, Transfer Pricing and Litigation: Evidence from Portugal
Author: António Martins
Publisher:
Total Pages:
Release: 2020
Genre:
ISBN:

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In Portugal, in the wake of the introduction of tax arbitration in 2011, courts have ruled in several cases involving transfer pricing (TP) judicial conflicts. The research questions that this article addresses are: What are the core issues in TP litigation in Portugal? Do they follow international trends? What is the predominant outcome of arbitration rulings, and why do tax authorities experience defeat in so many TP cases? Based on the total (thirty-two) TP arbitration cases decided in Portugal from 2012 to 2017, the authors find that tax administrations were successful in only three cases. Courts also found that tax audit reports often misused the comparability concept, and the methods that were used were also often disallowed by arbitrators. Therefore, tax administrations should proceed with caution in audits and seek robust foundations to TP adjustments. Multinational groups must also carefully substantiate their related party transactions in order to minimize audit risk and compliance costs of taxation.