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book Cost Management 6th Edition by Edward Blocher,David Stout ,Paul Juras,Gary Cokins cover

Cost Management 6th Edition by Edward Blocher,David Stout ,Paul Juras,Gary Cokins

Edition 6ISBN: 978-0078025532
book Cost Management 6th Edition by Edward Blocher,David Stout ,Paul Juras,Gary Cokins cover

Cost Management 6th Edition by Edward Blocher,David Stout ,Paul Juras,Gary Cokins

Edition 6ISBN: 978-0078025532
Exercise 50
Transfer Pricing; International Considerations; Strategy As indicated in the chapter, determining the appropriate transfer price in a multinational setting is a very complex problem, with multiple strategic considerations. Consider as an example a U.S. company with a subsidiary in Italy and a subsidiary in Ireland. The Italian subsidiary produces a product at a cost of $1,000 per unit. This unit is then sold to the Irish subsidiary, which adds $100 of cost to each unit. The unit is then shipped to the U.S. parent company, which adds an additional $100 of cost to each unit. The unit is then sold to a U.S. customer for $2,000. Assume that the tax rate in Italy is 30%, the tax rate in Ireland is 15%, and the tax rate in the United States is 35%.
Required
1. Define the term transfer price. Why is the issue of transfer pricing of strategic concern to organizations
2. Fundamentally, what creates income-tax planning opportunities as regards the determination of transfer pricing in a multinational setting Where could one go to obtain information regarding stated income-tax rates for various countries
3. Assume that the transfer price associated with the sale to the Irish subsidiary is $1,200, and that the transfer price for the sale to the U.S. parent company is $1,600. Under this situation, what is the income tax paid by each of the following: (a) the Italian subsidiary, (b) the Irish subsidiary, (c) the U.S. parent company, and (d) the consolidated entity (i.e., worldwide tax paid)
4. Assume now that the transfer price associated with the sale to the Irish subsidiary is $1,100, and that the transfer price for the sale to the U.S. parent company is $1,800. Under this situation, what is the income tax paid by each of the following: (a) the Italian subsidiary, (b) the Irish subsidiary, (c) the U.S. parent company, and (d) the consolidated entity (i.e., worldwide tax paid)
5. What considerations, including qualitative factors, bear on the transfer-pricing decision in a multinational context
Explanation
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Cost Management 6th Edition by Edward Blocher,David Stout ,Paul Juras,Gary Cokins
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