The valuation of intangible assets causes tax lawyers and economists a lot of trouble. And when assets cross borders, it gets worse. The (maybe not so-surprising) result is that a considerable number of multinational enterprises use a transfer pricing method to value intangible assets that seems not to comply with regulations of either home or host tax authorities. Although this is a matter of the utmost practical concern, the persistence - even growth - of the problem clearly raises theoretical issues. This volume considers the valuation of intangible assets from both perspectives, theory and practice, building its practical recommendations on a sound theoretical analysis of the appropriateness of transfer pricing rules for intangible assets as well as on the adequacy of transfer pricing standards and methods for the economic reality of multinational enterprises. With expert insight into the difficulties inherent in the current regulatory approaches to valuing intangible asset transfers within multinational enterprise networks, the author combines three strands of current concerns, namely: research into the theory of the multinational enterprise, intangible asset valuation, and international transfer pricing; comparison of transfer pricing policies when intangibles are involved; and the ongoing policy discussions on the subject among international organizations, tax authorities, and taxpayers.
Bibliography, etc. Note
Includes bibliographical references (pages 231-245) and index.
Formatted Contents Note
1. Rationale for international transfer pricing of intangibles; 2. Intangibles and MMEs: understanding production, use and investement; 3. Valuing intangible transfers - Theoretical approach; 4. Valuing intangible transfers - Practical approach; 5. Valuing intangible transfers - Transfer pricing approach; 6. Problems, policy issues and options for reforms; 7. Whither international transfer pricing of intangibles?.