
Transfer Pricing in a Post-BEPS World
Description
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Each chapter is dedicated to specific sections of the OECD's BEPS Action Plan. Among the topics and issues covered are the following:
- - arm's length principle and its ongoing development;
- - allocation of risk and recharacterization;
- - intangibles (both license model and cost contribution arrangements);
- - interest deductions and intra-group financing;
- - low value-adding services;
- - commissionaire arrangements and low-risk distributors;
- - attribution of profits to permanent establishments;
- - documentation requirements (including Country-by-Country Reporting).
Within these topics, measures to identify the commercial and financial relationships inside multinational enterprises, to accurately delineate actual transactions, as well as guidance on defining risk and its allocation among entities of a multinational enterprise are discussed.
The book is based on papers presented and discussed at the first Global Transfer Pricing Conference hosted in February 2016 by the WU Transfer Pricing Center at the Institute for Austrian and International Tax Law at WU (Vienna University of Economics and Business).
The most up-to-date and thorough consideration of transfer pricing yet published, this book will prove invaluable for all parties currently facing questions related to transfer pricing in a post-BEPS world, especially those in charge of finding an ideal answer to them: academics, practitioners (including in-house and advisory counsel), international organizations, CEOs and CFOs of multinational enterprises, and government officials who are tax and transfer pricing experts.
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Content
- Intro
- Editors
- Contributors
- Preface
- CHAPTER 1
- CHAPTER 2
- CHAPTER 3
- CHAPTER 4
- CHAPTER 5
- CHAPTER 6
- CHAPTER 7
- CHAPTER 8
- Index
- I. Introduction
- II. The Historical Background
- III. The Origins of the Arm's Length Principle: The Legal Fiction
- IV. The Evolution of the Arm's Length Principle: The Economic Reality
- V. Conclusions and Proposals
- II. The New OECD Risk Framework
- III. A Proposed Framework for Understanding Risks in an MNE
- IV. Case Study
- V. Conclusions
- II. The Significance of Intangibles: The Arm's Length Standard
- III. The License Model
- IV. Transfer Pricing and BEPS
- V. 'Intangibles'
- VI. What Has the OECD Done, and What Are the Implications? A 'Definition' of 'Source'
- VII. Back to the License Model
- VIII. The Practical Reality
- IX. A Concluding Comment
- II. BEPS: The Promise
- III. Promises Undelivered
- IV. CCA
- V. Conclusion: Undelivered Promises
- I. The Report on Action 4
- II. The 'Best Practice Approach': Overview
- III. General Comments and Policy Considerations
- IV. The Fixed Ratio: Best Practice or Missed Opportunity?
- V. The 'Best Practice Approach': A Bridge to Article 7?
- VI. What Is in Store for the Future?
- I. Definition of Low Value Services
- II. Services Which Are Excluded from Low Value Services
- III. List of Low Value Services
- IV. The Determination of Costs
- V. The 5% Markup
- VI. The Threshold of the Application of the Simplified Approach
- VII. Procedural Issues and Scope of the Simplified Approach
- I. Introduction: The Development of Action 7 of the BEPS Project and Its Outcome
- II. Commissionaire Arrangements and Article 5(5) of the OECD MTC: Historical Background
- III. Commissionaire Structures in Light of the Action 7 BEPS Report: More Clarity or the Beginning o
- IV. Attribution of Profits to PEs: Current Guidance and Future Developments
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