The arm's length principle and distortions to multinational firm organization

被引:25
|
作者
Keuschnigg, Christian [1 ,2 ]
Devereux, Michael P. [3 ]
机构
[1] Univ St Gallen, FGN HSG, CH-9000 St Gallen, Switzerland
[2] Inst Adv Studies, Vienna, Austria
[3] Univ Oxford, Ctr Business Taxat, Oxford, England
关键词
Corporate tax; Transfer prices; Arm's length principle; Corporate finance; INTERNAL CAPITAL-MARKETS; TAX COMPETITION; CORPORATE; TRADE; PERSPECTIVE; INVESTMENT; DECISION; FDI;
D O I
10.1016/j.jinteco.2012.08.007
中图分类号
F [经济];
学科分类号
02 ;
摘要
To prevent profit shifting by manipulation of transfer prices, tax authorities typically apply the arm's length principle in corporate taxation and use comparable market prices to 'correctly' assess the value of intracompany trade and royalty income of multinationals. We develop a model of firms subject to financing frictions and offshoring of intermediate inputs. We find that arm's length prices systematically differ from prices set by independent agents. Application of the principle distorts multinational activity by reducing debt capacity and investment of foreign affiliates. Although it raises tax revenue and welfare in the headquarter country, welfare losses may be larger in the subsidiary location, leading to a loss in world welfare. (C) 2012 Elsevier B.V. All rights reserved.
引用
收藏
页码:432 / 440
页数:9
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