CHAPTER ONE
INTRODUCTION
1.1 Background to the Study
Transfer pricing constitute the price
determined for the sale of goods and services between a related and controlled
organization. An illustration is when a subsidiary firm sells goods to a parent
organization. When the parent organization pays for the goods the cost paid by
the parent firm constitutes the transfer price. Legal entities which operate
under the control of a single corporation consist of those firms and their
branches which are wholly or majorly owned ultimately by the parent
corporation. Also firms are considered to be under common control if they share
family members on their boards of directors. Transfer pricing can be used as a
profit allocation method to allocate a multinational firms net profit (or loss)
before tax to the countries where it does business. Consequently transfer
pricing results in the setting of prices among firms of divisions within an
enterprise. The use of transfer pricing multinationally has a Tax advantage,
but this is against the regulatory requirement of Tax collectors as they are
against the use of transfer pricing for tax avoidance. This implies that if a
company uses transfer pricing they can book profits of goods and services in
another country that may have a lower tax rate. But in some cases they can
avoid tariff on goods and services exchanged internationally in the transfer of
goods and services from one country to another within an interrelated company
transaction.
The Organization for Economic
Cooperation and Development (OECD), and auditing firms within each
international location are responsible for international tax laws and audit
financial statements according to the Arm’s length principle. Article 9 of the
OECD Model Tax Convention is dedicated to the Arm’s Length Principle (ALP).The
principle stipulates that the transfer prices set between the corporate
entities should be in manner as If they were two independent entities. OCED has
provided a framework in the Transfer Pricing Guidelines which stipulate the
details regarding the arm’s length price. The benefit of transfer price show
that the ALP is based on real markets and gives the governments and MNE a
single international standard for the contracts that provide an allowance for
various different government entities to collect their share of tax at the same
time creating enough room for the MNE’s to avoid the double taxation.
Transfer pricing helps in reducing the
duty costs by shipping goods into high tariff countries at minimal transfer
prices so that duty base associated with these transactions are low. Reducing
income taxes in high tax countries by overpricing goods that are transferred to
units in those countries where the tax rate is comparatively lower thereby
giving them a higher profit margin.
1.2 Statement of the Problem
Transfer pricing also possess some
challenges. Disagreement among the organizational division managers often does
ensue as to what should be the nature of transfer policies. Also additional
costs are encountered regarding the with the required time and manpower
required to execute transfer pricing and designing the accounting system.
Difficulties also arise as to
estimating the right amount of pricing policy for intangibles such as services,
since these departments do not provide measurable benefits. Dysfunctional
behavior could also arise among managers of organizational units. Another
matter of concern is the process of transfer pricing is highly complicated and
time-consuming in large multi-nationals. Buyer and seller perform different
functions from each other that undertakes different types of risks. For
instance, the seller may or may not provide the warranty for the product. But
the price a buyer would pay would be affected by the difference. The risks that
impact prices are as follows .Financial & currency risk, Collection risk ,
Market and entrepreneurial risk ,Product obsolescence risk, Credit risk.
1.3 Objectives of the Study
To determine transfer pricing and
business profit taxation of multinational companies in Nigeria.
1.4
Research Questions
What is Transfer pricing
What is the effect of transfer pricing
on the business profit taxation of multinational companies.
1.5 Research Hypothesis
Ho The effect of Transfer Pricing on
the Business Profit of Multinational companies in Nigeria is low
Hi The effect of Transfer Pricing on
the Business Profit of Multinational companies in Nigeria is high
1.6 Significance of the Study
The study shall elucidate on the
nature and impact of Transfer pricing and business profit taxation of
multinational companies in Nigeria .
1.7 Scope of the Study
The study focuses on the appraisal of
Transfer pricing and Business profit Taxation of multinational companies in
Nigeria.
1.8 Limitations of the Study
The study was confronted by some
constraint including logistics and geographical factors.
1.9 Definition of Terms
Competent authority; is a person
identified as such in a Double Taxation Convention and who by that Convention
is given the authority to carry out certain functions under that Convention.
Controlled transactio: means a commercial
or financial transaction between connected taxable persons;
Connected taxable personsÇ in the
context of these Regulations is as defined in regulation 10 of these
Regulations;
OECD: means the Organization For
Economic Cooperation and Development;
Other regulatory approvals include
approvals issued by the National Office For Technology Acquisition and
Promotion; Department of Petroleum Resources, the Nigeria National Petroleum
Corporation and any other such regulatory authorities or bodies.
"Person" means a natural or
legal person;
"Resale Price Method" means
a method in which the resale margin that a purchaser of property in a
controlled transaction earns from reselling the property in an uncontrolled
transaction is compared with the resale margin that is earned in a comparable
uncontrolled purchase and resale transaction;
ServiceÇ means Federal Inland Revenue
Service or the FIRS‘;
TP; This typically means Transfer
Pricing; (z).
TP Disclosure Form means the form on
which a tax payer is required to disclose information on all related
transactions.
TOPIC: TRANSFER PRICING AND BUSINESS PROFIT TAXATION OF MULTINATIONAL COMPANIES IN NIGERIA
Chapters: 1 - 5
Delivery: Email
Delivery: Email
Number of Pages: 65
Price: 3000 NGN
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