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Challenges In Implementing Transfer Pricing Regulation Within Ethiopian Tax Law Regime

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dc.contributor.author Abbaa Gadaa, Egeree
dc.date.accessioned 2023-02-22T11:35:53Z
dc.date.available 2023-02-22T11:35:53Z
dc.date.issued 2022-12
dc.identifier.uri http://hdl.handle.net/123456789/2529
dc.description.abstract The purpose of this study is to assess the challenges of implementing the Transfer Pricing Regulation under the Ethiopian Tax Law Regime. Hence, due consideration has been given to the new Transfer Pricing rule in comparison to other tax law regimes of the country, specifically, explicit through Customs and VAT Proclamations, investment incentives of the Country. To this end, the study has applied a doctrinal legal research methodology that is qualitative. Hence, by referencing and deriving secondary data sources from official national legal documents and international documents such as the OECD TPGs, the new OECD BEPS proposals of Pillar one and Pillar two have been scrutinized. Thus, to substantiate the relevance and importance of the concept the experiences of advanced and related developing Countries have been comparatively expounded. The analysis found that, first, regardless the constitution and the tax laws of the country recognized local transfer pricing the regulation has not enacted at the state level to deal with regional transfer pricing issues. Secondly, with the globalized synergy of MNCs and legal and economic differences between different jurisdictions, the ALP complications, the challenges posed by lack of capacity and complex methods require special expertise, costly, tedious, and scarcity of comparable data or non-availability and non-comparable of data and, with the emerging digital economy, the ideological and economic differences of OECD manifested the North-South pressure challenged the implementation of the OECD mirrored Ethiopian Transfer Pricing Rule. Eventually, the paper recommended the need to use simplified rules, like safe harbor rules, unitary taxation with formulaic apportionment approaches, and alternative minimum tax rates. Second, the research recommended the need for urgent reduction for the 30% flat CIT rate in the Country and use CIT reduction in lieu of discriminatory investment incentives and the need to practice interstate TP en_US
dc.language.iso en en_US
dc.publisher Ambo University en_US
dc.subject Transfer Pricing en_US
dc.subject Corporate income tax en_US
dc.subject Interstate transfer pricing and Base en_US
dc.title Challenges In Implementing Transfer Pricing Regulation Within Ethiopian Tax Law Regime en_US
dc.type Thesis en_US


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