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Transfer Prices and Aggressive Tax Optimization Cover

Abstract

Subject and purpose of work: The subject of this study is transfer prices and their use for optimization of financial burdens of international companies (capital groups). The purpose of this study was to present transfer pricing issues in the light of applicable law and using them for tax purposes.

Materials and methods: The study uses literature and data from the World Bank and Google. Methods of descriptive and tabular analysis and inference were used.

Results: Google makes 91% of its revenues outside the US.

Conclusions: Transfer pricing is a tool for optimizing tax burden of international companies that bring them benefits in the form of the so-called “globalization annuity”, which makes them economically stronger and more technologically competitive. Polish tax law on transfer pricing has been tightened since 2001; transfer pricing issues are also regulated by the European Union and the Organization for Economic Cooperation and Development (OECD).

DOI: https://doi.org/10.2478/ers-2019-0022 | Journal eISSN: 2451-182X | Journal ISSN: 2083-3725
Language: English
Page range: 242 - 253
Submitted on: Jul 1, 2019
Accepted on: Aug 1, 2019
Published on: Sep 30, 2019
Published by: John Paul II University of Applied Sciences
In partnership with: Paradigm Publishing Services
Publication frequency: 4 issues per year

© 2019 Marian Podstawka, published by John Paul II University of Applied Sciences
This work is licensed under the Creative Commons Attribution-NonCommercial-NoDerivatives 3.0 License.