Title of article :
Royalties for Intracompany Sales of Fancy Trademarked Cheese
Author/Authors :
Clauser، Laura نويسنده ,
Issue Information :
روزنامه با شماره پیاپی سال 2003
Pages :
-502
From page :
503
To page :
0
Abstract :
The United States is currently considering issuing new guidance on the allocation of taxable income from marketing intangibles among related entities of multinationals. With this guidance, policymakers hope to settle an ongoing debate between advocates of the arm’s length principle and proponents of the principle of legal ownership. The purpose of this paper is to propose the net present value method be used to allocate income among related taxpayers. With this method, affiliates that market an intangible that they do not own are compensated as advocated by proponents of the arm’s length principle. Legal owners are also compensated for their opportunity costs.
Keywords :
PICTORIAL ART
Journal title :
NATIONAL TAX JOURNAL
Serial Year :
2003
Journal title :
NATIONAL TAX JOURNAL
Record number :
92005
Link To Document :
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