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Jumat, 01 Juni 2012

TRANSFER PRICING AND INTERNATIONAL TAXATION


TRANSFER PRICING AND INTERNATIONAL TAXATION
Define the basic concepts of taxation international
Transactions of trade between two countries or countries potentially aspects of taxation, it must be governed by the two countries or the international community in general to boost the economy and trade of the countries that make such cooperation. This is important so as not to impede the flow of investment funds due to burden some taxation Taxpayers in both countries that perform the transaction.
For that we need the international tax policy in terms of set the tax applicable in a country, assuming that each country could certainly have been set up in the tax provisions into its sovereign territory. But every country is free to regulate the taxation of the entity or a foreign national, international taxation is a form of international law, in which each state must submit to the international agreement known as the Vienna Convention.

The concept of juridical double taxation and economic double taxation
In a narrow sense, double taxation occurs in all cases considered taxation a few times on a subject and / or objects in a single tax the same tax administration. Double taxation can be caused by taxation by a single ruler (singular power) or by various (layer) single, for example, can occur in the taxation of the buildings on the resale value (land and building tax) and income (income tax on rent or profit transfer). Double taxation is often called economic double taxation (economic double taxation). Double taxation in a broad sense, according to the state (jurisdiction) the tax collector, can be grouped into double taxation (1) internal (domestic) and (2) International.

Understand the concept of linkage with the tax return from abroad.
Some States like French, Costa Rica, Hongkong, Panama, South africa, Swiss and Venezuela apply the principle of territorial taxation and impose taxes on companies that are domiciled in the country that profits generated outside the State. While most countries (including Australia, Brazil, China, Czech Republic, Germany, Japan, Mexico, Netherlands, UK, and USA to apply the principles throughout the world and impose taxes on profits or income of companies and citizens in it, regardless of the territory of the .
Understand the reasons for a foreign tax credit.
The tax credit can be expected if the amount of foreign income tax paid is not too obvious when the foreign subsidiary sent most profits come from overseas to the domestic parent company). Dividends are reported here in the parent company's tax return should be calculated gross (gross-up) to cover the amount of taxes (which are considered paid) plus all foreign levies taxes applicable. This means that as if the parent company receives dividends domestically which includes taxes payable foreign government and then pay the tax. Indirect tax credit allowed foreign (foreign income taxes deemed paid) is determined as follows:
Dividend payments (Including all tax levies) x foreign tax can be credited + Profit after tax foreign income

Sensitivity to international tax planning in corporate multinational.
The observation of these tax planning issues at the start with two basic things:
a. Tax considerations should never control business strategy
b. Changes in tax laws are constantly limit the benefits of tax planning in the long term.

Knowing the variables in the international transfer pricing.
Transfer prices set a monetary value on the exchange between firms that take place between the operating unit and is a substitute for market prices. A number of variables like tax rate competition inflation rates, currency values, limitations on the transfer of funds, political risk and the interests of joint venture partners are very complicated transfer pricing decisions.

Fundamental problems in the transfer pricing method.
1. Tax factor
Reasonable method of determining the transaction price that is acceptable is:
-        the method of determining the comparable uncontrolled price.
-        method of determining the resale price.
-        plus the cost price determination methods and
-        other methods of assessment rates
2. Tariff Factor
Tariffs for imported goods also affect transfer pricing policies of multinational corporations High tax rates paid by the importer will generate the income tax base is lower.
3. Competitiveness Factors
Such competitiveness considerations must be balanced against the many losses that the opposite effect. Transfer rates for competitive reasons may invite anti-trust action by the government.
4. Performance Evaluation Factors
Transfer pricing policy is also influenced by their influence on behavior management and is often the main determinant of company performance.
5. Accounting for Contributions
The management accountant can played a significant role in calculating the balance (trade-offs) in transfer pricing strategies. The challenge is to defense global perspective when mapping the benefits and costs associated with determining pricing decisions
6. Transfer Pricing Methodology
In a world with very competitive transfer rates, it will be a big deal when they wanted to transfer pricing resources and services between firms. However, there is rarely a competitive external market for products that are transferred between related entities is special. Problem of determining these costs are felt in the international level, because concept of cost accounting is different from one country to another.
7. Principle of Fair
A common type of multinational companies is the integration operation. Subsidiaries are in the same control as well as the sharing of source and similar destination. Needs to declare taxable income in different countries means that multinational companies must allocate income and expenses among subsidiaries and determining transfer prices for transactions between companies.


Sources:
1)      Choi, Frederick D.S., and Gerhard D. Mueller, 2005., The International Accounting - Book 1, Issue 5., Salemba Four, Jakarta.
2)      Choi, Frederick D.S., and Gerhard D. Mueller, 2005., The International Accounting - Book 2, Issue 5., Salemba Four, Jakarta.

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