Public Finance in the Real World: Through the Lens (Down the Rabbit Hole?) of Transfer Pricing
Scott Wilkie () and
Lorraine Eden ()
Additional contact information
Scott Wilkie: Blake Cassels & Graydon LLP
Canadian Tax Journal, 2022, vol. 70, issue Supplement, 257-290
Abstract:
The current lack of confidence in the international rules for taxing the global profits of multinational enterprises (MNEs) has three underlying causes: (1) tax rules are not universal or natural; (2) taxes must be practical, administrable, and collectible; and (3) tax policy is a domain where national sovereignty and multilateralism are both important and conflictual. As a result, in the real world of public finance, the principles and norms of international tax must be tempered with the need for practicality and respect for national sovereignty. Transfer pricing, which affects how an MNE's global profits are allocated among countries, provides a good illustration of the difficult problem of implementing public finance principles and norms in the real world. Criticisms of the arm's-length principle have led the Organisation for Economic Co-operation and Development to recommend formulary approaches to transfer pricing in the pillar 1 and 2 proposals of its base erosion and profit shifting project. Instead, we propose a solution that draws its inspiration from the distinction made by the International Centre for Settlement of Investment Disputes between "investment" and "trade" that underlies the four-factor Salini test: contribution, assets, risk, and duration. We argue that the Salini test provides useful insights into the conundrum of "source" and a way out of the current lack of confidence in the international tax system. Our work builds on, and pays homage to, Richard Bird's lifelong contributions to public finance.
Keywords: Transfer pricing; international taxation; multinational corporations; BEPS; foreign investment; corporate income taxes (search for similar items in EconPapers)
Date: 2022
References: Add references at CitEc
Citations:
Downloads: (external link)
https://www.ctf.ca/EN/Publications/CTJ_Contents/2022CTJSP.aspx (text/html)
Related works:
This item may be available elsewhere in EconPapers: Search for items with the same title.
Export reference: BibTeX
RIS (EndNote, ProCite, RefMan)
HTML/Text
Persistent link: https://EconPapers.repec.org/RePEc:ctf:journl:v:70:y:2022:i:supp:p:257-290
Ordering information: This journal article can be ordered from
Canadian Tax Foundation, 145 Wellington Street West, Suite 1400, Toronto, Ontario, Canada M5J 1H8
https://www.ctf.ca/E ... ns_ListingBooks.aspx
DOI: 10.32721/ctj.2022.70.supp.wilkie
Access Statistics for this article
Canadian Tax Journal is currently edited by Kim Brooks, Kevin Milligan, and Daniel Sandler
More articles in Canadian Tax Journal from Canadian Tax Foundation Canadian Tax Foundation, 145 Wellington Street West, Suite 1400, Toronto, Ontario, Canada M5J 1H8.
Bibliographic data for series maintained by Jim Lyons ().