The legal and regulatory framework of transfer pricing in Malaysia

Globalisation and the rapid growth of international trade have made intercompany pricing a common consideration for most businesses. Transfer pricing is not illegal or abusive in and of itself. It is a well-known tax principle that a taxpayer has the right to plan his affairs in order to pay less ta...

Full description

Saved in:
Bibliographic Details
Main Author: Abu Tariq, Jamaluddin
Format: Thesis
Language:en
en
en
Published: 2023
Subjects:
Online Access:https://etd.uum.edu.my/11048/1/Depositpermission-not%20allow_s900030.pdf
https://etd.uum.edu.my/11048/2/s900030_01.pdf
https://etd.uum.edu.my/11048/3/s900030_02.pdf
https://etd.uum.edu.my/11048/
Tags: Add Tag
No Tags, Be the first to tag this record!
_version_ 1834411896570118144
author Abu Tariq, Jamaluddin
author_facet Abu Tariq, Jamaluddin
author_sort Abu Tariq, Jamaluddin
building UUM Library
collection Institutional Repository
content_provider Universiti Utara Malaysia
content_source UUM Electronic Theses
continent Asia
country Malaysia
description Globalisation and the rapid growth of international trade have made intercompany pricing a common consideration for most businesses. Transfer pricing is not illegal or abusive in and of itself. It is a well-known tax principle that a taxpayer has the right to plan his affairs in order to pay less tax than would otherwise be due. However, transfer mispricing, also known as transfer pricing manipulation or abusive transfer pricing, is illegal or abusive. Like other tax jurisdictions, the Malaysian government, through the Inland Revenue Board of Malaysia (IRBM), has enacted transfer pricing guidelines and legislation to combat transfer pricing manipulation and abuse. In 2003, the IRBM issued its first transfer pricing guidelines. Specific transfer pricing provisions were added to the Income Tax Act of 1967 (ITA) later in 2009. Under the new provision, the Director-General of Inland Revenue (DGIR) is empowered to substitute the price of any transactions entered into between related persons to reflect the arm's length price of such transaction. The study's goal is to investigate the legal issues that arise from the implementation of Malaysia's transfer pricing law. This thesis utilises both qualitative case study and legal research methods. Focus was given on two transfer pricing audit cases and the notices of appeal filed by taxpayers with the Special Commissioners of Income Tax (SCIT). In addition, transfer pricing laws and practices in Australia and the United Kingdom were analysed using a comparative research methodology. This study found that the existing transfer pricing law lacks clarity regarding issues pertaining to burden of proof, imposition of penalties, transfer pricing guidelines, arm's length range, breach of natural justice, limitation period, transfer pricing document and transfer pricing method. Subsequently, the study proposed policy changes through amendments to transfer pricing legislation. The recommendations would eventually contribute to the implementation of a comprehensive transfer pricing law in Malaysia
format Thesis
id my.uum.etd-11048
institution Universiti Utara Malaysia
language en
en
en
publishDate 2023
record_format eprints
spelling my.uum.etd-110482024-03-18T23:51:21Z https://etd.uum.edu.my/11048/ The legal and regulatory framework of transfer pricing in Malaysia Abu Tariq, Jamaluddin HF5001-6182 Business Globalisation and the rapid growth of international trade have made intercompany pricing a common consideration for most businesses. Transfer pricing is not illegal or abusive in and of itself. It is a well-known tax principle that a taxpayer has the right to plan his affairs in order to pay less tax than would otherwise be due. However, transfer mispricing, also known as transfer pricing manipulation or abusive transfer pricing, is illegal or abusive. Like other tax jurisdictions, the Malaysian government, through the Inland Revenue Board of Malaysia (IRBM), has enacted transfer pricing guidelines and legislation to combat transfer pricing manipulation and abuse. In 2003, the IRBM issued its first transfer pricing guidelines. Specific transfer pricing provisions were added to the Income Tax Act of 1967 (ITA) later in 2009. Under the new provision, the Director-General of Inland Revenue (DGIR) is empowered to substitute the price of any transactions entered into between related persons to reflect the arm's length price of such transaction. The study's goal is to investigate the legal issues that arise from the implementation of Malaysia's transfer pricing law. This thesis utilises both qualitative case study and legal research methods. Focus was given on two transfer pricing audit cases and the notices of appeal filed by taxpayers with the Special Commissioners of Income Tax (SCIT). In addition, transfer pricing laws and practices in Australia and the United Kingdom were analysed using a comparative research methodology. This study found that the existing transfer pricing law lacks clarity regarding issues pertaining to burden of proof, imposition of penalties, transfer pricing guidelines, arm's length range, breach of natural justice, limitation period, transfer pricing document and transfer pricing method. Subsequently, the study proposed policy changes through amendments to transfer pricing legislation. The recommendations would eventually contribute to the implementation of a comprehensive transfer pricing law in Malaysia 2023 Thesis NonPeerReviewed text en https://etd.uum.edu.my/11048/1/Depositpermission-not%20allow_s900030.pdf text en https://etd.uum.edu.my/11048/2/s900030_01.pdf text en https://etd.uum.edu.my/11048/3/s900030_02.pdf Abu Tariq, Jamaluddin (2023) The legal and regulatory framework of transfer pricing in Malaysia. Doctoral thesis, Universiti Utara Malaysia.
spellingShingle HF5001-6182 Business
Abu Tariq, Jamaluddin
The legal and regulatory framework of transfer pricing in Malaysia
title The legal and regulatory framework of transfer pricing in Malaysia
title_full The legal and regulatory framework of transfer pricing in Malaysia
title_fullStr The legal and regulatory framework of transfer pricing in Malaysia
title_full_unstemmed The legal and regulatory framework of transfer pricing in Malaysia
title_short The legal and regulatory framework of transfer pricing in Malaysia
title_sort legal and regulatory framework of transfer pricing in malaysia
topic HF5001-6182 Business
url https://etd.uum.edu.my/11048/1/Depositpermission-not%20allow_s900030.pdf
https://etd.uum.edu.my/11048/2/s900030_01.pdf
https://etd.uum.edu.my/11048/3/s900030_02.pdf
https://etd.uum.edu.my/11048/
url_provider http://etd.uum.edu.my/