BrandeisUniversity
International Business School
FIN 247A–Transfer Pricing Theory and Practice
Wednesday – 6:30 pm to 9:20 pm
Fall 2016
Instructor: Dr. Avik Chakraborty
Office: TBD
Email:
Phone: (865) 719 - 2608
Office Hours: TBA.
Teaching Assistants:
Abdullah Al Mahmud
Prerequisites:
ECON 207a, FIN 202a, and either FIN 213a or FIN 214a.
Course objectives:
Transfer pricing refers to a “price setting” exercise adopted by multinational enterprises (MNE’s). For example, if a subsidiary company sells goods to a parent company, the cost of those goods is the transfer price. It can be used as a profit allocation method to attribute a multinational corporation's net profit (or loss) before tax to countries where it does business. Transfer pricing results in the setting of prices among divisions within an enterprise.
Given the extent of globalization in the current business environment, MNE’s have to cope with transfer pricing issues on a day to day basis. An increasing number of countries across the globe are announcing transfer pricing legislation to claim their “fair” share of profits from the MNE’s global income. As a result, this field has attracted significant attention from policy makers, businesses and consulting companies. This course will introduce the students to the economics of transfer pricing and draw upon their multi-disciplinary training across accounting, economics, and finance and apply them to the theory and practice of transfer pricing.
Learning goals and outcomes:
- Understand multinational intercompany pricing from an operational and tax perspective
- Understand application of financial accounting concepts in transfer pricing
- Understand application of financial valuation concepts in transfer pricing
- Understand core elements of tax planning in a multinational organization
- Understand the relevant elements of legal contracting and tax reporting in a transfer pricing context
Method of Instruction:
Instruction will be a combination of lectures, case studies, problem solving, and group projects. This course is very practical and will train the students to learn and apply fundamental concepts from economics and finance to the field of transfer pricing. Problem solving and case studies are very importantin this course and class participation is very strongly encouraged from all my students throughoutthe term.You should read all assigned material (regulatory framework, book chapters, case studies etc.)since they will help you imbibe the concepts in a meaningful way.
Course materials
A course pack with relevant readings from the following books (and sources) will be made available for this class. Students could also buy the books directly if they so desire.
- Transfer Pricing and Corporate Taxation: Problems, Practical Implications and Proposed Solutions, by Elizabeth King
- Global Transfer Pricing: Principles and Practice: Second Edition, by John Henshall
- U.S. Treasury Regulations, Section 482
- OECD Transfer Pricing Guidelines for Multinational Enterprises
The lecture notes and other materials that I will post on LATTE are equally important as the required text.
In addition, I will provide references to some concepts (used from the field of economics or finance) to help sharpen your understanding of the lectures
Cases and Additional Readings: Will be either handed out in class or electronically distributed via LATTE or email.
Homework Problem Sets:There will be no homework’s in this course other than the case studies and pre-reading materials for in-class discussions.
Case Studies:
The case studies will be group assignments that can be completed in groups of no more than three people in your section. Written case study assignments are due at the start of the class. Late assignments will not be accepted.
There will be three in-depth case studies that you will need to complete. The format of each will be different and the submission requirement of each will be specified along with the case study.
Grading and Student Evaluation:
The final grade will be determined according to the following components:
Case Study Discussions and Assignments30%
Mid-term examination30%
Final Exam40%
Total100%
Class Contribution: Contribution is an essential component in the overall education experience. Contribution takes many forms: asking informed questions in class, handing in solved problem sets, contributing actively to group projects,making intelligent comments, reading the assigned cases and being prepared to discuss the issues, actively listening to your peers and working with others. Please remember that quantity is no substitute for quality.There will be ample opportunity to contribute to the class. It is your responsibility to ensure that you take an active role in the class. If this is a problem for you, I urge you to talk to me to discuss ways you can make a contribution.
Assignments and Exams: Apart from the three case studies, there will be a mid-term and a final examination. Both the mid-term and the final exam will be a 3 hour exam each.The final exam is comprehensive and cumulative.There will be no makeup exams or assignmentsfor this course, except only under extraordinary circumstances.
My exams are not open book or open notes. However, you may bring twocrib sheetsto the final exam. A crib sheet is an ordinary (A4) piece of paper, 8-1/2"x 11", on which you may write, type, print, orcopy formulas ONLY- no definitions or any other text will be allowed. You may use both sides of thesheets. You may not staple or tape anyextensions or booklets onto the crib sheet. Do not abuse this privilege – if you do this will constitute cheating and appropriate penalties as described under academic integrity will be imposed.
Use of Laptop Computers and Cell Phones in Class:
Cell phones and PDA.s (i.e., Blackberry.s, I Phones, etc.) must beturned off during lectures.Laptops may be used but ONLY to browse the lectureslides or take notes. Regular class attendance is mandatory and strongly advised if you want to do well inthe course. I stick quite closely to my slides and what I discuss in class whensetting exam questions.Laptopcomputers and cell phones may not be used during exams.
Disabilities:
If you are a student with a documented disability on record at Brandeis University and wish to have a reasonable accommodation made for you in this class, please see me immediately.
Academic Integrity:
The instructor enforces all University rules, especially those regarding academic honesty and integrity. Note: there is a zero tolerance level in this area. Plagiarism is cheating. The use of another’s material without permission and without recognition is cheating. This applies to text books, solution manuals, study guides, a friend's assignment, past assignments, internet resources or any other material irrespective of the source.You are expected to be honest in all of your academic work. Please consult Brandeis University Rights and Responsibilitiesfor all policies and procedures related to academic integrity. Students may be required to submit work to TurnItIn.com software to verify originality. Allegations of alleged academic dishonesty will be forwarded to the Director of Academic Integrity. Sanctions for academic dishonesty can include failing grades and/or suspension from the university. Citation and research assistance can be found at LTS - Library guides
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Class Schedule
Lecture 1 / Transfer Pricing and Global Business / Transfer pricing - impact on MNE's (from an economics concept to the world of taxation)Role of Taxes and Business Strategy
An empirical analysis of pricing behavior by MNE's
Why is it important - relevance for the CXO suite / Transfer Pricing by U.S.-Based Multinational Firms, Bernard-Jensen-Schott, August 2006 (Tuck School of Business Working Paper)
Taxes and Business Strategy, Chapter 1, ( Myron S. Scholes, Mark A. Wolfson, Merle Erickson, Michelle Hanlon, Edward Maydew, Terry Shevlin)
Lecture 2 / Key Concepts in Transfer Pricing (1) / The Arm's Length Standard (and other alternatives)
Introduction to the US 482 regulations
Introduction to the OECD Guidelines
Recent developments in the field international taxation and transfer pricing / Section 482 regulations, Section 1 and OECD Guidelines Chapter 1
Lecture 3 / Key Concepts in Transfer Pricing (2) / Importance of Functions, Assets and Risks in transfer pricing
Discussion of the available transfer pricing methods to determine "arm's length" behavior / Section 482 regulations, Section 1 and OECD Guidelines Chapter 2
Transfer Pricing and Corporate Taxation: Problems, Practical Implications and Proposed Solutions, Chapter 2
CASE STUDY ONE (due beginning of Lecture 5)
Lecture 4 / Key Concepts in Transfer Pricing (3) / Supply, Demand and the Role of Markets in Setting Transfer Prices
Legal Contracts and their importance in transfer pricing analysis / Section 482 regulations, section 2 and 3 and OECD Guidelines Chapter 3
Lecture 5 / Comparable Analysis / A recap of key financial accounting concepts and their relevance to transfer pricing issues
Reading financial statements for transfer pricing analysis
Working with company financials - introduction to Compustat data / Transfer Pricing and Corporate Taxation: Problems, Practical Implications and Proposed Solutions, Chapter 3
Lecture 6 / Case Study - Applying the ALS in real life / Application from a US industry that will focus on students interpreting facts, and applying the available methods to determine an arm's length priceApplication of regression analysis in transfer pricing / Transfer Pricing and Corporate Taxation: Problems, Practical Implications and Proposed Solutions, Chapter 5
MIDTERM EXAMINATION
Lecture 7 / Transfer Pricing for Intangibles (1) / The CUT method and analysis of "royalty rates"
Application of corporate finance concepts to transfer pricing / Section 482 regulations section 4 and OECD Guidelines Chapter 6
Lecture 8 / Transfer Pricing for Intangibles (2) / Income Method and DCF analysis - determining risk and discount rates for transfer pricing analysis
Analysis of "valuing" an intangible in a transfer pricing context / Section 482 regulations, Section 7 and OECD Guidelines recent discussion drafts on intangibles
Transfer Pricing and Corporate Taxation: Problems, Practical Implications and Proposed Solutions, Chapter 12
CASE STUDY TWO (due beginning of Lecture 10)
Lecture 9 / Introduction to pricing intercompany financial transaction / Intercompany debt pricing
Intercompany guarantee pricing / Transfer Pricing and Corporate Taxation: Problems, Practical Implications and Proposed Solutions, Chapter 7
Cited papers
Lecture 10 / International tax and transfer pricing / Key concepts in international tax
Interplay of international tax and transfer pricing / Lecture Notes
CASE STUDY THREE (due beginning of Lecture 12)
Lecture 11 / Law, economics and transfer pricing / Relevance of legal contracts in transfer pricing
Legal versus economic substance - understanding the nuances / Lecture Notes
Lecture 12 / Recent developments – BEPS / Base Erosion and Profit Shifting / OECD Publications
Lecture 13 / Recap of key concepts in transfer pricing applications
FINAL EXAMINATION
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