Tax Liability Issues of Transfer Pricing in International Transactions with specific reference to the Partial Intellectual Property

dc.contributor.authorRagu Balan, P.
dc.contributor.authorPrema, E.
dc.date.accessioned2024-06-14T08:22:12Z
dc.date.available2024-06-14T08:22:12Z
dc.date.issued2024-03
dc.description.abstractThe Government acts as the parent and protects its people like children. Initially, Government was entrusted with the duty of protector but now the government functions for the development of people and to increase the standard of living. Government is a welfare state and utilizes all money for the development of its people. The government may accumulate revenue through different methods such as fees collected for government, direct tax, indirect taxes, providing license for business or individual performance, fines collected for the violation of traffic rules, etc., and collected revenues spent for people. The tax is one of the major sources of revenue collected based on income and consumption. Intellectual property is the property created by human intellectual, skill and intellectual labour, etc., The present research plans to drive the study towards how partial intellectual property escapes from tax liability. Generally, these transactions are done between two custom frontiers of different territories. As per Income Tax Act-1961, these transactions are covered under the name of transfer pricing. But, it covered tangible property, services, and financial transactions. Income tax provisions and methods are not useful for levy tax on the transfer of partial intellectual property and other intellectual property. Multinational companies have appointed technical experts to exclude tax liability by invoking tax loopholes. There are various methods used to evade the tax liability of the above- mentioned transactions. The research will identify the research gaps and fill those gaps with appropriate suggestions.en_US
dc.identifier.issn0976-3570
dc.identifier.urihttps://ir.nbu.ac.in/handle/123456789/5257
dc.language.isoenen_US
dc.publisherUniversity of North Bengalen_US
dc.subjectConsumptionen_US
dc.subjectFinancialen_US
dc.subjectGovernmenten_US
dc.subjectIncomeen_US
dc.subjectIntellectual propertyen_US
dc.subjectTransfer pricingen_US
dc.titleTax Liability Issues of Transfer Pricing in International Transactions with specific reference to the Partial Intellectual Propertyen_US
dc.title.alternativeIndian Journal of Law and Justice, Vol. 15, No. 01, March-2024, pp. 439-455en_US
dc.typeArticleen_US
periodical.editorBandyopadhyay, Rathin
periodical.issueNumber1
periodical.nameIndian Journal of Law and Justice
periodical.pageEnd455
periodical.pageStart439
periodical.volumeNumber15

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