Show simple item record

dc.contributor.authorBrem M.
dc.contributor.authorTucha T.
dc.date.accessioned2022-02-11T10:14:33Z
dc.date.available2022-02-11T10:14:33Z
dc.date.issued2006
dc.identifier.citationBrem, M., & Tucha, T. (2006). Transfer pricing: Conceptual thoughts on the nature of the multinational firm. Vikalpa, 31(2). https://doi.org/10.1177/0256090920060202
dc.identifier.issn2560909
dc.identifier.urihttps://www.doi.org/10.1177/0256090920060202
dc.identifier.urihttp://hdl.handle.net/11718/25276
dc.description.abstractThis paper deploys Transaction Cost Economics (TCE) to elaborate on the shortcomings of 憁ainstream' transfer pricing in multinational firms. Departing from the notion that multinationals increasingly (re-)organize their business along multinational value chains irrespective of jurisdictional borders, this paper discusses the nature of the multinational firm and the problem of choosing the right intra-group (transfer) price. The mainstream transfer pricing approach derived from the Arm's Length Principle (ALP) is deemed inappropriate for globally operating multinational enterprises (MNEs). Referring to the value chain model, the paper suggests that 慹ntrepreneurial coordination' is the key performance feature to be used for valuing business activity and for allocating � for tax transfer pricing purposes � standard mark-ups and residual profits along the value chain. The main findings of this paper are: ? Neo-classical concepts on marginal pricing may not suffice to establish arm's length transfer pricing; the inadequacy between tax-world transfer pricing (getting income allocation right) and business-world transfer pricing (getting management incentives right) might find its explanation in such concepts. ? MNEs need to be understood as large organizations different from domestic large organizations by the fact that they operate in different jurisdictions and/or institutional environments. ? Operative business is coordinated along business lines in which value chain processes can be identified. De facto, business-world transfer pricing takes place along such value chains in which tangible and intangible assets are transferred and hence require appropriate pricing from both the tax-world and the business-world perspective. ? TCE is a worthy candidate for illustrating governance structures and transactional attributes of business between related parties of a multinational group; such features support arguments to establish arm's length transfer pricing. ? Regularly, a clear cut-off of functional allocation into tax jurisdictions is difficult to achieve because of the high degree of integration into the value chains of the multinational. TCE appears to better distinguish between so-called 憆outine' and 憂on-routine' functions. ? Transactions of the MNE are rarely of an 慹ither-or' feature (either 憁arket' or 慼ierarchy'). Depending upon transactional attributes, the price of such transaction can be assessed by variables describing the institutional and economic context, the transaction-specific contract, the stage of the business process involved, the strategy chosen, and the function pattern (function, risk, assets). ? Comparable information is rarely found in databases which provide company information. The more non-routine functions and intangibles are involved, the less is the tested function (or business unit) comparable with companies from external databases. Under these data constraints on comparables, the arm's length tests on transfer pricing will have to resort to internal information if the ALP is intended to remain viable. ? A next-generation transfer pricing approach may have to make use of patterns of governance to characterize and to value the functional contributions to the overall value chain. � 2006, SAGE Publications Ltd. All rights reserved.
dc.language.isoen_US
dc.publisherSAGE Publications Ltd
dc.relation.ispartofVikalpa
dc.subjectEntrepreneurial Coordination
dc.subjectMultinational Organization
dc.subjectTransaction Costs
dc.subjectTransfer Pricing
dc.subjectValue Chain
dc.titleTransfer pricing: Conceptual thoughts on the nature of the multinational firm
dc.typeArticle
dc.rights.licenseCC BY-NC, CC BY
dc.contributor.affiliationIndian Institute of Management, Ahmedabad, India
dc.contributor.affiliationGlobal Transfer Pricing Business Solutions GmbH, Germany
dc.contributor.institutionauthorBrem, M., Indian Institute of Management, Ahmedabad, India
dc.contributor.institutionauthorTucha, T., Global Transfer Pricing Business Solutions GmbH, Germany
dc.description.scopusid6506816437
dc.description.scopusid57195103002
dc.identifier.doi10.1177/0256090920060202
dc.identifier.endpage44
dc.identifier.startpage29
dc.identifier.issue2
dc.identifier.volume31


Files in this item

Thumbnail

This item appears in the following Collection(s)

  • Open Access Journal Articles [325]
    The open-access journal articles collection includes articles published by faculty/researcher of Indian Institute of Management Ahmedabad in Gold/Diamond/ Hybrid/Green Open Access Journal. The Gold/Diamond Open Access Journals are those which published research articles as open access and are primarily licensed under the creative commons.

Show simple item record