I review the plans of transfer pricing adjustment secondhand by the IRS for transfers of real and intangible property 'tween related parties. These means include the corresponding uncontrolled price method, the resale price arrangement, the cost-plus method, the comparable profits methods, the profit split method, and the corresponding uncontrolled transaction order. An example, using the corresponding profits methodology, is too shown.
Author(s) Details:Robert William Pendergrass,
TallgrassGIS, Broken Arrow, OK 74012, USA.
Please see the link here: https://stm.bookpi.org/RTASS-V7/article/view/11794
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