BibTex Citation Data :
@article{JIRUD13676, author = {Ichda Karomatunnisa and Hermini Susiatiningsih and Ika Putranti}, title = {34. PERAN ORGANIZATION FOR ECONOMIC AND DEVELOPMENT DALAM MENANGGULANGI PRAKTIK TAX CRIME DI INDONESIA STUDI KASUS: TRANSFER PRICING DI INDONESIA TAHUN 2003 – 2012}, journal = {Journal of International Relations Diponegoro}, volume = {2}, number = {4}, year = {2016}, keywords = {transfer pricing, OECD, tax, Indonesia}, abstract = {Taxes are major sources of income for Indonesia, in which taxes contribute 74% - 80% of total revenue. The practice of transfer pricing is a problem faced by Indonesia related tax revenue. Transfer pricing causes a potential loss in state revenue from the tax sector. Between 2003 to 2012, Indonesia had suffered a loss of US \$ 152.154 billion. The amount of loss encouraged Indonesia to take various efforts to solve this problem, such as cooperation with the OECD. This study aims to explain the role undertaken by the OECD in tackling transfer pricing practices in Indonesia. The method used in this research is qualitative descriptive type-explanation. Liberal institutionalist theory and the concept of the role by Biddle and Biddle are used to analyze the role of the OECD in dealing with transfer pricing practices in Indonesia. Through this partnership, the role played by OECD giving seminars, counseling, also training to improve the knowledge and expertise of the Indonesian tax authorities. The OECD also provides an opportunity for Indonesian tax investigators are able to participate in OECD’s the Tax Academy. OECD also has BEPS Project to address the Base Erosion and Profit Shifting (BEPS) among multinational that includes program management of transfer pricing activities. In this regard, the OECD focuses on the provision of advice related to legal or tax policy and help increase the ability of the tax investigators.}, issn = {3063-2684}, pages = {311--318} doi = {10.14710/jirud.v2i4.13676}, url = {https://ejournal3.undip.ac.id/index.php/jihi/article/view/13676} }
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