Transfer pricing in China

Journal
Bulletin for International Taxation 2000 (Volume 54), No. 11
Provides an overview of the Chinese enterprise income tax system and the possible reasons why foreign-investment enterprises engage in transfer pricing transactions. Discusses the application of the arm's length principle in China, the meaning of "associated enterprises", the methods of establishing arm's length prices, transactions between associated enterprises, the administration and compliance issues related to transfer pricing, tax treaties, and advance pricing agreements.