2018
DOI: 10.1162/rest_a_00673
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Knocking on Tax Haven’s Door: Multinational Firms and Transfer Pricing

Abstract: HighlightsThis paper directly estimates the deviation in prices between those done within a multinational and those done at arm's length while controlling for firm and destination characteristics.We find significant transfer pricing behavior, with prices diverging by 11%.Transfer pricing is due primarily to tax havens, not simply low-tax countries.During our sample, transfer pricing resulted in a 1% reduction in French corporate tax revenue. AbstractThis paper analyzes the transfer pricing of multinational fir… Show more

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citations
Cited by 252 publications
(184 citation statements)
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References 41 publications
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“…Our results are different from that in Davies et al () who find that the effects of tax haven on multinational firms' tax avoidance are stronger for those with more exports. It could be because their sample only includes exporters but our sample includes exporters and nonexporters.…”
contrasting
confidence: 99%
“…Our results are different from that in Davies et al () who find that the effects of tax haven on multinational firms' tax avoidance are stronger for those with more exports. It could be because their sample only includes exporters but our sample includes exporters and nonexporters.…”
contrasting
confidence: 99%
“…Except for interest rates (if the traded asset is an intra…rm loan) and commodity prices, comparables are often imperfect or outright missing. The arm's length reference price therefore has to be constructedand it is obvious that the involved parties may have diverging opinions on how 6 Related evidence is found by using …rm-level data on intra-…rm and arm's length transactions in U.S. data by Bernard, Jensen, and Schott (2006) and in French data by Davies, Martin, Parenti, and Toubal (2014). Clausing (2000) uses information on …rm trade balances as it depends on host tax rates while Bartelsman and Beetsma (2003) examines the allocation of pro…ts as it depends on taxes.…”
Section: Institutional Background Literature and Some Evidencementioning
confidence: 99%
“…10 An APA can be unilateral, bi-or multilateral, according to the number of tax authorities participating in the negotiations ( § 4.129, § 4.130 OECD TP Guidelines). 11 As part of this request, the MNE is allowed to propose a transfer pricing method and to participate in the negotiations. In doing so the MNE has to motivate the elected transfer pricing method ( § 4.133, § 4.134 OECD TP Guidelines) and submit all necessary and relevant information on the speci…c intracompany transactions ( § 4.123 OECD TP Guidelines).…”
Section: Institutional Background Literature and Some Evidencementioning
confidence: 99%
“…In general, these studies' findings are in line with taxmotivated transfer pricing at work. Empirical evidence is provided by Bartelsman and Beetsma (2003) for the value added in different manufacturing sectors for a sample of OECD countries, by Overesch (2006) for German MNEs' balance sheet positions which reflect intra-firm transaction values, by Swenson (2001) for US import prices, by Clausing (2003) and Bernard et al (2008) for intra-firm trade prices of US MNEs, and by Davies et al (2014) for intra-firm export prices for a sample of French firms.…”
Section: Introductionmentioning
confidence: 99%