Transfer Pricing Audit Challenges and Dispute Resolution Effectiveness in Developing Countries with Specific Focus on Zimbabwe

被引:8
作者
Sebele-Mpofu, Favourate Yelesedzani [1 ]
Mashiri, Eukeria [2 ]
Korera, Patrick [1 ]
机构
[1] Natl Univ Sci & Technol, Fac Commerce, Accounting, Bulawayo, Zimbabwe
[2] Univ Namibia, Accounting Auditing & Income Tax, Windhoek, Namibia
关键词
transfer pricing; audit; dispute resolution; comparable data; effectiveness; TAX COMPLIANCE; SAMPLE-SIZE; STRATEGIES;
D O I
10.1515/ael-2021-0026
中图分类号
F8 [财政、金融];
学科分类号
0202 ;
摘要
Base erosion and profit shifting activities of multinational enterprises (MNEs) have been a hot issue globally. Topical among the strategies employed by MNEs has been the issue of transfer pricing (TP). Developing countries are argued to be significantly affected by TP manipulation resulting in substantial tax revenues being lost. As a response to curb the unfavourable impacts of transfer mispricing, most developing countries have adopted the OECD TP guidelines and enacted TP legislation to regulate TP activities. The arm's length principle is the core of TP legislation, yet it has brought challenges for tax administrators and their auditors in enforcing and assessing compliance respectively leading to disputes. In view of the ever-changing business world and continuous efforts by MNEs to minimise their tax obligations through income shifting, it was imperative to assess the factors affecting the effectiveness of TP audits and dispute resolutions as measures to enhance compliance and enforcement in developing countries, with specific reference to Zimbabwe. Findings include the lack of clarity in TP legislation, resource constraints and complexity of transactions, lack of expertise as well as the shortage of comparable data. Developing countries are encouraged to formulate clear TP regulations and invest in the capacitation of revenue authorities.
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页数:47
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