1 / 38

International Accounting, 6/e

International Accounting, 6/e. Frederick D.S. Choi Gary K. Meek. Chapter 9: International Taxation and Transfer Pricing. Learning Objectives. Identify the major types of tax systems that exist around the world. Understand what determines a multinational entity’s effective tax burden 税收负担 .

davis
Download Presentation

International Accounting, 6/e

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. International Accounting, 6/e Frederick D.S. Choi Gary K. Meek Chapter 9: International Taxation and Transfer Pricing

  2. Learning Objectives • Identify the major types of tax systems that exist around the world. • Understand what determines a multinational entity’s effective tax burden税收负担. • Understand concepts relating to the taxation of foreign source income and the rationale基本原理 behind the foreign tax credit外国税收抵免. • Identify the major variables that complicate international transfer pricing. • Explain the meaning of arm’s-length price正常的价格and the transfer pricing methods designed to achieve it. • Explain the concept of an advance pricing arrangement预约定价制度.

  3. Initial Concepts • Tax neutrality税收中性 • Taxes have no effect on resource-allocation decisions. • Business decisions driven by economic fundamentals. • Should result in optimal allocation最优配置 of resources. • Tax equity税收公平分配 • Similarly situated taxpayers纳税人 pay same tax • Is a foreign subsidiary a domestic company operating abroad? • Is a foreign subsidiary a foreign company owned by a domestic one? • Disagreement over how to interpret this concept

  4. Diversity of National Tax Systems • Types of taxes • Corporate income tax • First or second most widely used tax • Trend toward lowering and converging of income tax rates • Pressure to improve competitiveness of a country’s businesses and create an attractive investing environment • Driven by integration of the world economy and ability of businesses to move from high- to low-tax countries • Withholding tax代扣所得税 • Imposed on dividend, interest, and royalty payments特许使用费 to foreign investors • Withheld扣留 at the source • Often modified by bilateral tax treaties双边税收条约

  5. Value-added tax增值税 • Consumption tax found in Europe and Canada • Levied on value added at each stage of production or distribution • Consumers ultimately bear the cost • Border tax国境税 • Customs or import duties关税 • First or second most widely used tax • Designed to keep domestic goods price competitive with imports • Transfer tax证券交易税 • Imposed on transfers of assets资产转让 between taxpayers

  6. Diversity of National Tax Systems • Tax burdens税负 • Vary internationally due to: • Differences in statutory tax rates法定税率 • Differences in definitions of taxable income • How social overhead costs间接成本are paid for in a country • Lower direct taxes may result in higher indirect taxes • Or fewer and lower-quality public services that increase other costs • Effective tax rates实际税率seldom equal nominal tax rates • Thus, a low tax rate does not necessarily不一定 mean a low tax burden

  7. Tax administration systems税务管理系统 • Classical system传统系统 • Corporate income is taxed twice: • At the corporate level • At the shareholder level when dividends are paid • Trend is away from classical system. • Integrated system综合系统 • Corporate and shareholder taxes integrated to reduce or eliminate double taxation of corporate income. • Tax credit, or imputation设算, system is a common variant. • Full imputation eliminates double taxation. • Partial imputation reduces double taxation. • Split-rate system分税制 is another variant变体. • Dividends (to shareholders) taxed at lower rate than corporate income

  8. Foreign tax incentives国外的税收优惠 • Tax holidays免税期—Tax relief for certain period of time • Tax havens避税港—Low or no income tax countries • Harmful tax competition • Avoiding or evading回避 a country’s income taxes by using tax havens • Brass plate subsidiaries lack substantial activities and merely funnel漏斗 transactions through a tax haven • OECD经合组织 pressuring tax haven countries to adopt practices on exchange of information and transparency • International harmonization国际协调 • Multinational companies are pressuring for international tax harmonization • EU moving to harmonize corporate tax base rather than tax rates

  9. Taxation of Foreign-Source Income and Double Taxation • Foreign tax credit • Designed to relieve double taxation in countries following worldwide principle of taxation • Credit against direct (not indirect) taxes paid • Income taxes paid on branch or subsidiary earnings • Withholding taxes代扣代缴 • Allowable tax credit proportional to dividends ÷ net income • Effect is to limit the total tax on foreign-source income to the higher of the home or foreign country’s tax rate

  10. Limits范围 to tax credits • Designed to prevent foreign tax credits from offsetting taxes on domestic-source income • Excess foreign tax credits can be carried back one year and forward 10 years • Separate foreign tax credit limitation on these baskets: • Passive income非劳动收入 • General income一般收入 • Tax treaties税收协定 • Agreements between countries on taxation of income and withholding taxes • Applies to each country’s businesses operating in the other country • Foreign exchange considerations外汇注意事项 • Foreign income and taxes paid translated into U.S. dollars similar to FAS 52 treatment

  11. Tax-Planning Dimensions规模 • Overview • Tax considerations should never control business strategy: the financial or operating strength of a business transaction must stand on its own • Constant changes in tax laws limit the benefits of long-term tax planning • Organizational considerations • Branch profits taxed to parent in full when earned • Taxes on subsidiary profits deferred until dividend paid to parent

  12. Tax-Planning Dimensions • Controlled foreign corporations and Subpart F income • Deferral principle: income of foreign subsidiaries not taxable to parent until repatriated as a dividend • Tax havens give multinationals opportunity to avoid repatriating foreign profits by parking them in “brass plate” subsidiaries • Shareholders of CFCs are taxed on “tainted” (Subpart F) income even before dividend is paid • Subpart F income is passive, related party income

  13. Tax-Planning Dimensions • Offshore holding companies离岸控股公司 • Own the shares of operating subsidiaries to gain tax advantages • Require complex planning and avoiding anti-treaty shopping rules • Financing decisions • Subsidiary in high-tax country borrows from one in low-tax country • Result is shifting income away from high-tax country, thereby reducing taxes • Pooling of tax credits • Excess tax credits from high-tax countries can be pooled with unused credits from low-tax countries

  14. Tax-Planning Dimensions (contin) • Cost accounting allocations • Affiliates in high-tax countries allocated corporate overhead, personnel, and R&D costs • Result is maximizing tax deductions in high-tax affiliates • Location and transfer pricing • Set high transfer prices on items shipped from subsidiaries in low-tax countries • Set low transfer prices on items shipped from subsidiaries in high-tax countries

  15. Tax-Planning Dimensions (contin) • Integrating international tax planning • Tax planning should be integrated into corporate decisions • Rely on tax experts in each jurisdiction • Communicate facts and coordinate tax advice • Tax decisions should fit the business • Put everything in writing – documentation is critical • Don’t do anything embarrassing

  16. International Transfer Pricing: Complicating Variables • Tax considerations • Move profits from subsidiaries in high-tax countries to subsidiaries in low-tax countries • IRS can reallocate profits if transfer prices are used to avoid income taxes • IRS and many other governments require arm’s-length transfer pricing • Varying interpretations of arm’s-length pricing can catch multinationals “in the middle” • Resolving the problem can be time-consuming and expensive • Documentation is critical • Audits by tax authorities can be expected • Transfer pricing has become a major compliance burden • Can distort the multinational control system

  17. International Transfer Pricing: Complicating Variables (contin) • Tariff considerations • Reduce transfer prices on items sent to high-tariff countries • Multinational must contend with customs officials in importing country and income tax administrators in importing and exporting countries • Competitive factors • Subsidize a new foreign subsidiary with low transfer prices on imported inputs • Shield an existing foreign subsidiary from competition the same way • Use transfer prices to improve profits of a foreign subsidiary seeking local financing • Use transfer prices to weaken local competition • Disadvantages • May invite antitrust actions by host government • May invite retaliatory actions by competitors • May become a permanent management crutch

  18. International Transfer Pricing: Complicating Variables (contin) • Environmental risks • Inflation • Charge high transfer prices to subsidiary in high-inflation country to remove cash • Currency devaluations • Use inflated transfer prices to move funds out of subsidiary in devaluation-prone country • Foreign exchange controls • Reduce transfer price to import more product to subsidiary in country with such controls • Restrictionson profit repatriations • Use high transfer price on sales to the subsidiary to remove cash

  19. International Transfer Pricing: Complicating Variables (contin) • Performance evaluation considerations • Difficult to set transfer prices that: • Motivate managers to make decisions that maximize their unit’s profits and are congruent with the goals of the company as a whole, and • Provide an equitable basis for judging the performance of managers and units of the firm • Freely negotiated prices may be best for the unit but not the firm as a whole • Dictated transfer prices that are best for the firm as a whole may be seen as arbitrary or unreasonable by the unit manager

  20. International Transfer Pricing: Complicating Variables (contin) • Accounting contributions • Quantify the trade-offs in setting transfer pricing • Keep global perspective when mapping benefits and costs of transfer pricing strategy • Environmental influences must be considered for the group, not the individual units • Environmental risks are often conflicting and they change constantly

  21. Transfer Pricing Methodology • Market vs. cost vs….? • Market-based transfer prices • Advantages • Show the opportunity cost of the transfer • Encourage the efficient use of the firm’s resources • Help differentiate profitable from unprofitable operations • Consistent with decentralized profit center orientation • Easy to defend to tax authorities as arm’s-length • Disadvantages • Does not give the firm much room to use transfer prices for strategic reasons • Often no intermediate market for the product or service in question • Multinationals engage in transactions that independent companies do not undertake • Relationships among affiliates under common control differ from transactions between unrelated parties • Cost-based transfer prices • Advantages • Are simple to use • Are based on readily available data • Can be used to strategically respond to tax differences, competitive circumstances, and environmental risks • May help avoid internal frictions • Disadvantages • May provide little incentive for selling units to control costs • Ignore competitive supply and demand relationships

  22. Transfer Pricing Methodology (contin) • Arm’s-length principle • Intrafirm transactions are priced as if they took place between unrelated parties in competitive markets • The basis for most transfer pricing regulations by tax authorities around the world • The transfer price is hypothetical since: • Parties are related • Markets are not competitive

  23. Transfer Pricing Methodology (contin) • Comparable uncontrolled price method • Used with commodity-type products • Appropriate when goods are sufficiently common and internal and external sales are comparable • Use same transfer price that unrelated parties are charged • Comparable uncontrolled transaction method • Applies to transfers of intangible assets • Use same transfer price (royalty rate) that unrelated parties are charged for the intangible

  24. Transfer Pricing Methodology (contin) • Resale price method • Used when the buying unit is a distributor or sales subsidiary • Work backwards approach • Start with the sales price the sales subsidiary charges its (unrelated) customer • Then deduct the sales subsidiary’s costs and a normal profit • Cost-plus pricing method • Typically used when semi-finished goods are transferred between foreign affiliates, or where one entity is a subcontractor for another • Work forward approach • Start with the selling unit’s production cost • Then add a normal profit

  25. Transfer Pricing Methodology (contin) • Comparable profits method • Set the transfer price so that profits on transactions between related parties are comparable to profits on transactions between unrelated parties who engage in similar business activities under similar circumstances • Profit-split methods • Used when product or market benchmarks are not available • Attempts to divide profits on related-party transactions in an arm’s-length fashion • Comparables profit-split method and residual profit-split method are two examples

  26. Transfer Pricing Methodology (contin) • Other pricing methods • Other methods may be used if they better reflect arm’s-length pricing than one of the “acceptable” methods above • Best methods rule • Select the best transfer pricing method based on the facts and circumstances • U.S. and other countries have a best methods rule • Most countries prefer transaction-based methods over profit-based methods

  27. Transfer Pricing Methodology (contin) • Advance pricing agreements • Multinational company and taxing authority negotiate an agreed-upon transfer pricing methodology • Binding on both parties • Binding for a fixed period of time • Reduces or eliminates the risk of a transfer pricing audit • Saves time and money for the multinational and taxing authority • Introduced in the U.S., now widely adopted by other countries

  28. Transfer Pricing Practices • A variety of transfer pricing methods are found in practice • Managing the tax burden is a top objective of transfer pricing practices • Operational issues are also important, such as: • Maintaining competitive position • Promoting equitable performance evaluation • Motivating employees • Transfer pricing plays an increasingly important role in the strategic planning process • Transfer pricing increasingly used to contribute value in the multinational company

  29. The Future • Are national taxes compatible with a global economy? • The principles upon which international taxation is based are being challenged • Electronic commerce over the Internet ignores borders and physical location • Sophisticated encryption techniques make it harder to identify taxpayers • The Internet makes it easy to shift activities to low-tax countries • Monitoring and taxing international transactions becoming more difficult • The arm’s-length principle is becoming less relevant for today’s multinationals • Fewer of them operate units as independent firms • Becoming more difficult to locate where profits are generated • Global brands • Global research and development • Regional profit centers • Brand names, intellectual property, and intangibles are hard to price

  30. The Future (contin) • Increased cooperation among the world’s taxing authorities • Greater tax competition among countries • Some advocate a unitary tax as an alternative to transfer pricing • Total profits allocated to units based on economic presence in a country • The country then taxes its share of profits at the rate it chooses

  31. Chapter Exhibits

  32. Chapter Exhibits (contin)

  33. Chapter Exhibits (contin)

  34. Chapter Exhibits (contin)

  35. Chapter Exhibits (contin)

  36. Chapter Exhibits (contin)

  37. Chapter Exhibits (contin)

  38. Chapter Exhibits (contin)

More Related