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A problem-solving guide for lawyers charged with valuating transactions in their client's or company
Customs Valuation and Transfer Pricing, Is it Possible to Harmonize Customs and Tax Rules?
by Juan Martin Jovanovich
List Price: $163.00  
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Imprint: Kluwer Law International
ISBN: 9789041198884
Format: Hardcover
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Although valuation is fundamental to both tax and customs liability in international transactions, values calculated by the two regimes can differ, often markedly, in situations where no clear rules of transfer pricing apply.

Through detailed examination of relevant guidelines, transfer pricing methodologies, and business realities prevailing among multinational enterprises, Customs Valuation and Transfer Pricing offers a cogent and convincing account of how tax and customs transfer pricing regimes may be harmonized. Among the essential elements of this important thesis, the author discusses the following in depth:

  • the OECD Transfer Pricing Guidelines;
  • the GATT/WTO Valuation Code (GVC);
  • the arm's length principle;
  • methods, both traditional and new, of determining whether the parties' relationship influenced the price; and
  • additions to and deductions from the customs value.

    The study concludes with an analysis of the circumstances and conditions under which the introduction of transfer pricing compensatory adjustments to transaction value would be consistent with Article 1 of the GVC.

    1. Rules to be harmonized
    2. Is it necessary or at least advisable to harmonize both tax and customs transfer pricing regimes?
    3. Is harmonization feasible?
    4. Definition – OECD Guidelines
    5. Recognition of the arm's length principle in the GVC
    6. The OECD Guidelines can be used to determine whether transaction price is arm's length under GVC Article 1.2
    7. Guidance for applying the arm's length principle. Use of such guidance under GVC Article 1.2
    8. The OECD arm's length methods and the methods laid down in GVC Articles 2, 3, 5 and 6
    9. Test values
    10. Considerations regarding the OECD arm's length methods
    11. Traditional methods
    12. Other methods
    13. Customs Value and Tax Value of Imported Goods. Adjustments
    14. Introduction
    15. IRC Section 1059A
    16. Definition of the term "related parties"
    17. Tax base of customs duties
    18. Introduction
    19. Price review clauses; formula pricing