Lingga, Ita Salsalina (2012) Aspek Perpajakan Dalam Transfer Pricing dan Problematika Praktik Penghindaran Pajak (Tax Avoidance). Jurnal Zenit, 1 (3). pp. 210-221. ISSN 2252-6749
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Abstract
The up rise of globalization in these modern times has resulted in the rapid growth of multinational trade and cross-border intercompany transactions (related parties transactions). In a global economy where multinational enterprises (MNEs) play a prominent role, many transaction normally take place between members of the group. This phenomena has brought impact to the practice of transfer pricing. The purpose of transfer pricing are to achieve performance evaluation and optimal determination of taxes. Transfer prices are significant for both taxpayers and tax administration because they determine in large part the income and expenses, and therefore taxable profits, of associated enterprises in different tax jurisdictions. In order to regulate the practice of transfer pricing and tax avoidance, Directorate General of Taxes has made regulations that govern the authority to realocate transfer price among divisions that have related parties.
Item Type: | Article |
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Uncontrolled Keywords: | transfer pricing, tax avoidance, arm’s length principle |
Subjects: | H Social Sciences > HJ Public Finance |
Depositing User: | Perpustakaan Maranatha |
Date Deposited: | 02 Sep 2013 04:58 |
Last Modified: | 02 Sep 2013 04:58 |
URI: | http://repository.maranatha.edu/id/eprint/3941 |
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