Fr. 114.00

Transfer Pricing - Alternative Practical Strategies

English · Hardback

Will be released 30.11.2015

Description

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Improve corporate profits through alternative transfer pricing strategies

Transfer Pricing: Alternative Practical Strategies presents a case study based upon a fictional company to showcase the preparation of a transfer pricing study that meets regulatory needs. This case study focuses on three alternative strategies to transfer pricing: advance pricing agreements, cost sharing agreements, and the use of joint ventures. The advance pricing section considers the factors to take into account when deciding whether this is the right approach, and details the elements that impact the steps you take at each stage of the APA process, such as the prefiling conference, application submission, and more. The section on cost sharing arrangements presents methods for developing and documenting a qualified cost sharing arrangement, as well as buy-in and buy-out payments, international acceptance of cost sharing arrangements, and more. Finally, the international joint ventures section analyzes, among other things, key tax planning issues, such as sham treatment, taxation of operating income, etc.

Transfer pricing is the process of pricing goods or services that are being sold within an entity--either between company divisions or departments or between a parent company and a subsidiary. The right transfer pricing model can prove profitable for your organization.
* Explore which alternative methods--advance pricing agreements, cost sharing agreements, or joint ventures--are best for your business
* Access information that guides you in improving corporate profits through targeted transfer pricing methodology
* Consider new ideas in context through a case study that applies presented concepts to a fictional company
* Leverage an ancillary test bank to reinforce key ideas

Transfer Pricing: Alternative Practical Strategies gives you an overview of what transfer pricing is, and offers three strategies that you can leverage to improve corporate profits when determining transfer pricing models.

Summary

Improve corporate profits through alternative transfer pricing strategies

Transfer Pricing: Alternative Practical Strategies presents a case study based upon a fictional company to showcase the preparation of a transfer pricing study that meets regulatory needs. This case study focuses on three alternative strategies to transfer pricing: advance pricing agreements, cost sharing agreements, and the use of joint ventures. The advance pricing section considers the factors to take into account when deciding whether this is the right approach, and details the elements that impact the steps you take at each stage of the APA process, such as the prefiling conference, application submission, and more. The section on cost sharing arrangements presents methods for developing and documenting a qualified cost sharing arrangement, as well as buy-in and buy-out payments, international acceptance of cost sharing arrangements, and more. Finally, the international joint ventures section analyzes, among other things, key tax planning issues, such as sham treatment, taxation of operating income, etc.

Transfer pricing is the process of pricing goods or services that are being sold within an entity--either between company divisions or departments or between a parent company and a subsidiary. The right transfer pricing model can prove profitable for your organization.
* Explore which alternative methods--advance pricing agreements, cost sharing agreements, or joint ventures--are best for your business
* Access information that guides you in improving corporate profits through targeted transfer pricing methodology
* Consider new ideas in context through a case study that applies presented concepts to a fictional company
* Leverage an ancillary test bank to reinforce key ideas

Transfer Pricing: Alternative Practical Strategies gives you an overview of what transfer pricing is, and offers three strategies that you can leverage to improve corporate profits when determining transfer pricing models.

Product details

Authors Philip W Carmichael, Philip W. Carmichael
Publisher Wiley, John and Sons Ltd
 
Languages English
Product format Hardback
Release 30.11.2015, delayed
 
EAN 9781119157113
ISBN 978-1-119-15711-3
No. of pages 336
Series Wiley Corporate F&A
Wiley Corporate F&A
Subjects Guides > Law, job, finance > Taxes
Social sciences, law, business > Business > Business administration

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