Language:
English
繁體中文
Help
回圖書館首頁
手機版館藏查詢
Login
Back
Switch To:
Labeled
|
MARC Mode
|
ISBD
Reconstructing the international tax...
~
Rosenthal, Elizabeth.
Linked to FindBook
Google Book
Amazon
博客來
Reconstructing the international tax system = an alternative to pillar one /
Record Type:
Electronic resources : Monograph/item
Title/Author:
Reconstructing the international tax system/ by Elizabeth Rosenthal.
Reminder of title:
an alternative to pillar one /
Author:
Rosenthal, Elizabeth.
Published:
Cham :Springer Nature Switzerland : : 2025.,
Description:
ix, 161 p. :ill., digital ;24 cm.
[NT 15003449]:
Introduction. -- Part I: The Unstable Status Quo. -- Chapter 1. The Challenges Posed by Base Erosion and Profit Shifting. -- Chapter 2: Tax Authorities' Unilateral Responses. -- Chapter 3:The Need for Moderation and Collaboration. -- Part II: Working Towards a New Equilibrium: Rethinking Approaches to Complex Transfer Pricing Issues. -- Chapter 4: Common Ground on Matters of Principle. -- Chapter 5: Proposed Bifurcation of Transfer Pricing Issues. -- Chapter 6: The Role of Third Party Data Reconsidered; The Scope for Expanded Use of Safe Harbors. -- Chapter 7: Substance over Form in the Context of Transfer Pricing; Expanded Role of Economic/Game Theory. -- Chapter 8: The Case for Selective Application of Formulary Apportionment Methods. -- Chapter 9: The Case Against the Income Method and the Assumption that IP has an Infinite Useful Life. -- Chapter 10: Conclusions.
Contained By:
Springer Nature eBook
Subject:
Taxation. -
Online resource:
https://doi.org/10.1007/978-3-031-83933-7
ISBN:
9783031839337
Reconstructing the international tax system = an alternative to pillar one /
Rosenthal, Elizabeth.
Reconstructing the international tax system
an alternative to pillar one /[electronic resource] :by Elizabeth Rosenthal. - Cham :Springer Nature Switzerland :2025. - ix, 161 p. :ill., digital ;24 cm. - Contributions to economics,2197-7178. - Contributions to economics..
Introduction. -- Part I: The Unstable Status Quo. -- Chapter 1. The Challenges Posed by Base Erosion and Profit Shifting. -- Chapter 2: Tax Authorities' Unilateral Responses. -- Chapter 3:The Need for Moderation and Collaboration. -- Part II: Working Towards a New Equilibrium: Rethinking Approaches to Complex Transfer Pricing Issues. -- Chapter 4: Common Ground on Matters of Principle. -- Chapter 5: Proposed Bifurcation of Transfer Pricing Issues. -- Chapter 6: The Role of Third Party Data Reconsidered; The Scope for Expanded Use of Safe Harbors. -- Chapter 7: Substance over Form in the Context of Transfer Pricing; Expanded Role of Economic/Game Theory. -- Chapter 8: The Case for Selective Application of Formulary Apportionment Methods. -- Chapter 9: The Case Against the Income Method and the Assumption that IP has an Infinite Useful Life. -- Chapter 10: Conclusions.
Source-based taxation and the arm's length standard have been foundational elements of the international tax system for many decades. With the advent of the highly digitalized platform firm, the OECD and many other stakeholders assert that these principles have been rendered obsolete. In their stead, these stakeholders have proposed an alternative hybrid international tax system. Under this proposed hybrid system, the long-standing profit allocation rules would be applied in the first instance to determine the preliminary attribution of in-scope multinational firms' taxable income to individual taxing jurisdictions. These results would then be subject to a secondary reallocation designed to ensure that a portion of such firms' taxable income is attributed to, and taxable by, jurisdictions in which consumers and users reside ("market jurisdictions"). This secondary allocation - the core of the OECD's Pillar One and an essential element of its two-pronged "Pillar One-Pillar Two Solution" - explicitly deviates from both the arm's length standard and the principle of source-based taxation. For many reasons, examined in this book, the OECD's Pillar One would not provide for the effective taxation of highly digitalized platform firms, and, by extension, it would not stabilize the international tax system. The author argues that source-based taxation and the arm's length standard are entirely compatible with the attribution of a portion of highly digitalized platform firms' taxable income to market jurisdictions. However, new transfer pricing methodologies and a revised definition of 'control' for transfer pricing purposes are required to achieve this result. Combining important findings and insights from academic research in a variety of fields with the author's extensive practical experience in both public and private spheres, this book is appropriate for academics as well as private sector advisors in the fields of transfer pricing and international tax, chief financial officers of multinational corporations and tax policy analysts.
ISBN: 9783031839337
Standard No.: 10.1007/978-3-031-83933-7doiSubjects--Topical Terms:
652150
Taxation.
LC Class. No.: K4460
Dewey Class. No.: 343.052
Reconstructing the international tax system = an alternative to pillar one /
LDR
:03985nmm a2200337 a 4500
001
2422594
003
DE-He213
005
20251208062115.0
006
m d
007
cr nn 008maaau
008
260505s2025 sz s 0 eng d
020
$a
9783031839337
$q
(electronic bk.)
020
$a
9783031839320
$q
(paper)
024
7
$a
10.1007/978-3-031-83933-7
$2
doi
035
$a
978-3-031-83933-7
040
$a
GP
$c
GP
041
0
$a
eng
050
4
$a
K4460
072
7
$a
KC
$2
bicssc
072
7
$a
BUS000000
$2
bisacsh
072
7
$a
KC
$2
thema
082
0 4
$a
343.052
$2
23
090
$a
K4460
$b
.R815 2025
100
1
$a
Rosenthal, Elizabeth.
$3
3804489
245
1 0
$a
Reconstructing the international tax system
$h
[electronic resource] :
$b
an alternative to pillar one /
$c
by Elizabeth Rosenthal.
260
$a
Cham :
$b
Springer Nature Switzerland :
$b
Imprint: Springer,
$c
2025.
300
$a
ix, 161 p. :
$b
ill., digital ;
$c
24 cm.
490
1
$a
Contributions to economics,
$x
2197-7178
505
0
$a
Introduction. -- Part I: The Unstable Status Quo. -- Chapter 1. The Challenges Posed by Base Erosion and Profit Shifting. -- Chapter 2: Tax Authorities' Unilateral Responses. -- Chapter 3:The Need for Moderation and Collaboration. -- Part II: Working Towards a New Equilibrium: Rethinking Approaches to Complex Transfer Pricing Issues. -- Chapter 4: Common Ground on Matters of Principle. -- Chapter 5: Proposed Bifurcation of Transfer Pricing Issues. -- Chapter 6: The Role of Third Party Data Reconsidered; The Scope for Expanded Use of Safe Harbors. -- Chapter 7: Substance over Form in the Context of Transfer Pricing; Expanded Role of Economic/Game Theory. -- Chapter 8: The Case for Selective Application of Formulary Apportionment Methods. -- Chapter 9: The Case Against the Income Method and the Assumption that IP has an Infinite Useful Life. -- Chapter 10: Conclusions.
520
$a
Source-based taxation and the arm's length standard have been foundational elements of the international tax system for many decades. With the advent of the highly digitalized platform firm, the OECD and many other stakeholders assert that these principles have been rendered obsolete. In their stead, these stakeholders have proposed an alternative hybrid international tax system. Under this proposed hybrid system, the long-standing profit allocation rules would be applied in the first instance to determine the preliminary attribution of in-scope multinational firms' taxable income to individual taxing jurisdictions. These results would then be subject to a secondary reallocation designed to ensure that a portion of such firms' taxable income is attributed to, and taxable by, jurisdictions in which consumers and users reside ("market jurisdictions"). This secondary allocation - the core of the OECD's Pillar One and an essential element of its two-pronged "Pillar One-Pillar Two Solution" - explicitly deviates from both the arm's length standard and the principle of source-based taxation. For many reasons, examined in this book, the OECD's Pillar One would not provide for the effective taxation of highly digitalized platform firms, and, by extension, it would not stabilize the international tax system. The author argues that source-based taxation and the arm's length standard are entirely compatible with the attribution of a portion of highly digitalized platform firms' taxable income to market jurisdictions. However, new transfer pricing methodologies and a revised definition of 'control' for transfer pricing purposes are required to achieve this result. Combining important findings and insights from academic research in a variety of fields with the author's extensive practical experience in both public and private spheres, this book is appropriate for academics as well as private sector advisors in the fields of transfer pricing and international tax, chief financial officers of multinational corporations and tax policy analysts.
650
0
$a
Taxation.
$3
652150
650
0
$a
Income tax
$x
Foreign income.
$3
650544
650
1 4
$a
Economics.
$3
517137
650
2 4
$a
Business and Management.
$2
eflch
$3
1485455
650
2 4
$a
Quantitative Economics.
$3
3538570
710
2
$a
SpringerLink (Online service)
$3
836513
773
0
$t
Springer Nature eBook
830
0
$a
Contributions to economics.
$3
1565829
856
4 0
$u
https://doi.org/10.1007/978-3-031-83933-7
950
$a
Economics and Finance (SpringerNature-41170)
based on 0 review(s)
Location:
ALL
電子資源
Year:
Volume Number:
Items
1 records • Pages 1 •
1
Inventory Number
Location Name
Item Class
Material type
Call number
Usage Class
Loan Status
No. of reservations
Opac note
Attachments
W9523092
電子資源
11.線上閱覽_V
電子書
EB K4460
一般使用(Normal)
On shelf
0
1 records • Pages 1 •
1
Multimedia
Reviews
Add a review
and share your thoughts with other readers
Export
pickup library
Processing
...
Change password
Login