Please use this identifier to cite or link to this item: https://irek.ase.md:443/xmlui/handle/123456789/4218
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dc.contributor.authorNapadaică, Valeria-
dc.date.accessioned2025-06-26T06:47:04Z-
dc.date.available2025-06-26T06:47:04Z-
dc.date.issued2025-05-
dc.identifier.isbn978-9975-168-26-7 (PDF)-
dc.identifier.urihttps://irek.ase.md:443/xmlui/handle/123456789/4218-
dc.descriptionNAPADAICĂ, Valeria. Transfer Pricing Issues – the Arm’s Length Principle. Online. In: Development Through Research and Innovation IDSC-2025: International Scientific Conference: The 6th Edition, May 16th, 2025: Collection of scientific articles. Chişinău: SEP ASEM, 2025, pp. 278-283. ISBN 978-9975-168-26-7 (PDF). Disponibil: https://doi.org/10.53486/dri2025.34en_US
dc.description.abstractAs the globalization process and international trade has taken off, the number of multinational groups significantly increased. Especially for the past century. In this regard, it is important to address the consequences for the MNEs as well as for national tax authorities. Since, the topic of transfer pricing has become the top priority on the tax authority’s agenda it is important to highlight the issues found within the documentation of transfer pricing, such as the arm’s length principle. This paper provides an overview on the main considerations on the arm's length principle: applying steps, arm’s length price determination, main issues encountered in tax practice. The paper is based on qualitative research according to the field literature/legislation as well as the author’s practical perspective. As the results have shown there are several issues within the arm’s length principle, more specifically: differences identified between controlled and uncontrolled transactions; identifying and applying reasonable search criteria in a specialized database; identifying comparable and independent companies suitable as benchmarks for comparability analysis; identifying a reasonable sample of comparable to determine the arm’s length range; identifying and applying the most appropriate transfer pricing method. That’s why it is fundamental to ensuring equitable taxation across borders, fostering openness in related-party transactions, and protecting national tax resources from erosion due to unlawful profit shifting by multinational corporations. UDC: 336.22:339.92; JEL: H25, H26en_US
dc.language.isoenen_US
dc.publisherSEP ASEMen_US
dc.subjecttransfer pricingen_US
dc.subjectarm’s length principleen_US
dc.subjectarm’s length priceen_US
dc.subjectmultinational groupsen_US
dc.titleTransfer Pricing Issues – the Arm’s Length Principleen_US
dc.typeArticleen_US
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