transfer pricing造句1. Look at Figure 3 again; the transfer price could be one that is set equal to the market price.
2. Multi-nationals can use their market power to fiddle transfer prices.
3. Indeed, as a general problem, it is unlikely that two divisions will arrive amicably at a suitable transfer price.
4. This article has looked at how a theoretical transfer price can be calculated in a simple situation.
5. In practice, it will probably try to get away with transfer prices that let it shift profits into low-tax countries.
6. If the divisions trade with each other transfer prices will have to be agreed.
7. As goods are passed up to a division, the transfer price may include elements to cover profit and fixed costs.
8. The exchange strategy is not about transfer pricing, compensation schemes, or other impersonal elements of organization design.
9. I also showed how to arrive at a successful transfer price where there was no market for the intermediate product.
10. In particular, transfer prices will affect the following: Divisional profits and motivation.
11. Theoretical transfer pricing is all very well, but in practice not many companies will know their marginal cost and revenue functions.
12. Transfer pricing is the cor e of related transaction.
13. Transfer Pricing of multinational enterprises and the relevant government regulation are hot issues in economic globalization.
14. The problems of transfer pricing strategy of firms under asymmetric competition are analyzed.
15. A transfer pricing system based on standard activity cost with capacity constraints is proposed with quantitative study which can induce the divisions′ production and purchasing decisions.
16. Currently intangible assets transfer pricing issue has become increasingly hot issue in both theory and practice.
17. Also as transfer pricing.
18. Transfer pricing refers to a process of pricing arrangement in a controlled transactions between affiliated enterprises.
19. The Chinese Government attaches importance to the transfer pricing and the basic policy.
20. The paper starts from the origins of transfer pricing in the view of transaction cost economy, and demonstrate the affirmance and application of transfer pricing using demands of decentralization.
21. If the transfer pricing is believed violate the arm's length principle, the authority has the right to adjust the price.
22. The logic of global production is again operating, but through transfer pricing and the use of captive suppliers.
23. Section 482 of IRS has detailed rules about transactions of intangibles involving the transfer pricing.
24. This chapter researches on the two trends that appear in the recent international transfer pricing law.
25. Contemporaneous Documents: Contemporaneous documents are used to record the existing transfer pricing policy and can also be sued to determine whether it complies with the arm's length principle.
26. Chapter one is a general study on the basic concepts and principle of transfer pricing regime.
27. Complications arise due to tax deferral using foreign subsidiaries and tax avoidance via transfer pricing.
28. Solid abilities with excellent tax auditing and consulting. With transfer pricing experience is preferred.