2016
DOI: 10.17951/h.2016.50.1.487
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Transfer Pricing Tax Policy Concerning Intangibles in the Context of BEPS

Abstract: Podatkowa polityka cen transferowych w zakresie dóbr niematerialnych w kontekście BEPS Transfer Pricing Tax Policy Concerning Intangibles in the Context of BEPS Słowa kluczowe: ceny transferowe; wycena wartości niematerialnych i prawnych; zasada dystansu

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Cited by 2 publications
(2 citation statements)
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“…The special measures on transfer pricing of intangible goods in connection with BEPS Action 8 proposed by the OECD include, in particular, guidelines on how to revise the tax assessment of transactions between related enterprises regarding intangible assets. (Jamroży, 2016) In Poland, some regulations concerning the analysis of comparability of intangibles are included in Chapter 2 of Regulation of the Minister of Finance of December 21, 2018 on transfer pricing in the area of corporate income tax (Regulation of MF, 2018a, par. 3. p. 2).…”
Section: Special Considerations For Intangiblesmentioning
confidence: 99%
See 1 more Smart Citation
“…The special measures on transfer pricing of intangible goods in connection with BEPS Action 8 proposed by the OECD include, in particular, guidelines on how to revise the tax assessment of transactions between related enterprises regarding intangible assets. (Jamroży, 2016) In Poland, some regulations concerning the analysis of comparability of intangibles are included in Chapter 2 of Regulation of the Minister of Finance of December 21, 2018 on transfer pricing in the area of corporate income tax (Regulation of MF, 2018a, par. 3. p. 2).…”
Section: Special Considerations For Intangiblesmentioning
confidence: 99%
“…Table 65 below provides a comparison of special clauses for transfer pricing related to special sectors or areas in the countries investigated. (Jamroży, 2016;Regulation of MF, 2018a;Regulation of MF, 2018c;OECD, 2015;; SK: (Income Tax Act, 2003; .…”
Section: Skmentioning
confidence: 99%