The document discusses transfer pricing and related tax issues with specific reference to Pakistan. It provides definitions and guidelines related to transfer pricing according to OECD and Pakistani tax law. Some key points include:
- Multinational enterprises use transfer pricing to manipulate profits and taxes between subsidiaries in different countries. OECD has established guidelines for determining appropriate transfer prices.
- Transfer prices determine taxable profits in different jurisdictions. Tax motives for improper transfer pricing include reducing taxable profits and avoiding withholding taxes.
- Pakistani tax law includes some transfer pricing provisions but the legislation is still developing. The law authorizes tax authorities to distribute profits appropriately between associates.
- The arm's length principle means transactions between associates should