This study examines how spillovers affect a multinational company's choice of an intangible's location and the corresponding transfer price for using this intangible. Our model uses a company with a domestic division in a high-tax country and a foreign division in a low-tax country, where each division's activities generate spillovers on the other division's income. In contrast to previous studies, our analysis incorporates an intangible's optimal location when the company trades off tax minimization and efficient activities. By locating the intangible abroad, the company reduces its tax liability, whereas locating the intangible domestically yields more efficient domestic division activities. For a high spillover of the domestic division, the company locates the intangible domestically. Our model supports empirical evidence regarding intangibles' location that is interpreted as "home bias". Additionally, we show how variations in regulatory parameters-arm's length range and tax rate differential-affect the divisions' activities and the intangible's location.
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Research Article|
December 11 2020
Transfer Pricing and Location of Intangibles - Spillover and Tax Avoidance through Profit Shifting
Katrin Weiskirchner-Merten
Katrin Weiskirchner-Merten
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Journal of Management Accounting Research JMAR-19-052.
Article history
Received:
July 29 2019
Accepted:
December 10 2020
Citation
Rebecca Reineke, Katrin Weiskirchner-Merten; Transfer Pricing and Location of Intangibles - Spillover and Tax Avoidance through Profit Shifting. Journal of Management Accounting Research doi: https://doi.org/10.2308/JMAR-19-052
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