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  2. Transfer pricing - Wikipedia

    en.wikipedia.org/wiki/Transfer_pricing

    Transfer pricing rules recognize that it may be inappropriate for a component of an enterprise performing such services for another component to earn a profit on such services. Testing of prices charged in such case may be referred to a cost of services or services cost method. [66]

  3. International taxation - Wikipedia

    en.wikipedia.org/wiki/International_taxation

    The setting of the amount of related party charges is commonly referred to as transfer pricing. Many jurisdictions have become sensitive to the potential for shifting profits with transfer pricing, and have adopted rules regulating setting or testing of prices or allowance of deductions or inclusion of income for related party transactions.

  4. Tax Attractiveness Index - Wikipedia

    en.wikipedia.org/wiki/Tax_Attractiveness_Index

    Special rules for holdings include the exemption from local corporate income tax (e.g. Switzerland), exemption from current taxation (e.g. Luxembourg until 2010), the exemption from tax on all disposals of shares in subsidiaries (e.g. Singapore) or a refund of taxes paid to non-resident shareholders if profits are distributed (e.g. Malta). [1]

  5. Base erosion and profit shifting (OECD project) - Wikipedia

    en.wikipedia.org/wiki/Base_erosion_and_profit...

    Suggests specific anti-abuse rules be included in domestic legislation. [49] Action 7: Permanent Establishment Status. Greatly expands the definition of a permanent establishment to counter MNE tactics used to avoid having a taxable presence in a country. [50] Actions 8-10: Transfer Pricing. Moves to align transfer pricing outcomes with value ...

  6. Controlled foreign corporation - Wikipedia

    en.wikipedia.org/wiki/Controlled_foreign_corporation

    However, Belgian CFC legislation is obsolete in practice given that the application of Belgian transfer pricing rules (i.e. article 185, § 2 of the Belgian Income Tax Code, allowing the Belgian tax authorities to implement an upwards adjustment of the profits in case of a breach of the arm's length principle) take precedence over CFC legislation.

  7. Business owners should not forget anti-money laundering rule ...

    www.aol.com/news/business-owners-not-forget-anti...

    Small business owners should not forget about a rule — currently in legal limbo — that would require them to register with an agency called the Financial Crimes Enforcement Network, or FinCEN ...

  8. Base erosion and profit shifting - Wikipedia

    en.wikipedia.org/wiki/Base_erosion_and_profit...

    • two interlocking domestic rules (together the Global anti-Base Erosion Rules (GloBE) rules): (i) an Income Inclusion Rule (IIR), which imposes top-up tax on a parent entity in respect of the low taxed income of a constituent entity; and (ii) an Undertaxed Payment Rule (UTPR), which denies deductions or requires an equivalent adjustment to ...

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