Please use this identifier to cite or link to this item: https://www.um.edu.mt/library/oar/handle/123456789/38715
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dc.date.accessioned2019-01-18T12:13:28Z-
dc.date.available2019-01-18T12:13:28Z-
dc.date.issued2018-
dc.identifier.citationGatt, P. (2018). Analysing transfer pricing developments and its possible implementation into Maltese law (Master's dissertation).en_GB
dc.identifier.urihttps://www.um.edu.mt/library/oar//handle/123456789/38715-
dc.descriptionLL.D.en_GB
dc.description.abstractTransfer Pricing is the setting of the price for goods or services sold between related businesses. This occurs when, for instance, a subsidiary company sells goods or services to its parent company – the price arranged and paid by the parent company for such goods or services is the transfer price. Transfer Pricing arises when a transaction is effected between businesses under the control of the same shareholder, directors, or even family members and apart from subsidiaries it includes branches and companies that are wholly or majority owned by the same controller. Essentially, the transfer price should be similar to what a seller under comparable circumstances would charge an independent, third party customer or what a buyer would pay an independent, third party supplier, both dealing at arm's length. This scope behind this thesis is to explore the Arm’s Length Principle as introduced under the OECD Transfer Pricing Guidelines initially and how Transfer Pricing rules have been developing internationally and also in the European Union. In doing so, the thesis will also analyse how the European Union has adopted its own method of assessing Transfer Pricing through the State Aid mechanism. Albeit Transfer Pricing is extraneous to Maltese tax legislation, one may still find indirect references to the Arm’s Length Principle and some powers left at the discretion of the Commissioner of Inland Revenue Department to assess transactions between closely connected persons. Through the research conducted, this thesis will infer conclusions and suggest why the Maltese legislator should consider introducing broader and more comprehensive Transfer Pricing rules in Malta.en_GB
dc.language.isoenen_GB
dc.rightsinfo:eu-repo/semantics/restrictedAccessen_GB
dc.subjectTransfer pricing -- Law and legislation -- Maltaen_GB
dc.subjectTransfer pricing -- Taxation -- Law and legislation -- Maltaen_GB
dc.subjectDouble taxation -- Maltaen_GB
dc.titleAnalysing transfer pricing developments and its possible implementation into Maltese lawen_GB
dc.typemasterThesisen_GB
dc.rights.holderThe copyright of this work belongs to the author(s)/publisher. The rights of this work are as defined by the appropriate Copyright Legislation or as modified by any successive legislation. Users may access this work and can make use of the information contained in accordance with the Copyright Legislation provided that the author must be properly acknowledged. Further distribution or reproduction in any format is prohibited without the prior permission of the copyright holder.en_GB
dc.publisher.institutionUniversity of Maltaen_GB
dc.publisher.departmentFaculty of Laws. Department of Public Lawen_GB
dc.description.reviewedN/Aen_GB
dc.contributor.creatorGatt, Patrick-
Appears in Collections:Dissertations - FacLaw - 2018
Dissertations - FacLawPub - 2018

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