A mechanism design approach to transfer pricing by the multinational firm

1994 ◽  
Vol 38 (1) ◽  
pp. 143-170 ◽  
Author(s):  
Neal M. Stoughton ◽  
Eli Talmor
Author(s):  
Gideon Goerdt ◽  
Wolfgang Eggert

AbstractThin capitalization rules limit firms’ ability to deduct internal interest payments from taxable income, thereby restricting debt shifting activities of multinational firms. Since multinational firms can limit their tax liability in several ways, regulation of debt shifting may have an impact on other profit shifting methods. We therefore provide a model in which a multinational firm can shift profits out of a host country by issuing internal debt from an entity located in a tax haven and by manipulating transfer prices on internal goods and services. The focus of this paper is the analysis of regulatory incentives, $$(i)$$ ( i ) if a multinational firm treats debt shifting and transfer pricing as substitutes or $$(ii)$$ ( i i ) if the methods are not directly connected. The results provide a new aspect for why hybrid thin capitalization rules are used. Our discussion in this paper explains why hybrid rules can result in improvements in welfare if multinational firms treat methods of profit shifting as substitutes.


2004 ◽  
Vol 44 (161) ◽  
pp. 123-134
Author(s):  
Dragan Azdejkovic

The theory of social choice deals with both the processes and results of collective decision making. In this paper, we explore some issues in the theory of social choice and mechanism design. We examine the premises of this theory, the axiomatic approach, and the mechanism design approach.


2018 ◽  
Vol 32 (1) ◽  
pp. 107-133 ◽  
Author(s):  
Alex Rees-Jones ◽  
Dmitry Taubinsky

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