Secondly the british tax authorities-in working with


Question: Chinglish Dirk Company (Hong Kong) exports razor blades to its wholly owned parent company, Torrington Edge (Great Britain). Hong Kong tax rates are 16% and British tax rates are 30%. Chinglish calculates its profit per container as follows (all values in British pounds).

283_62.png

Chinglish Dirk (B). Encouraged by the results from the previous problem's analysis, corporate management of Torrington Edge wishes to continue to reposition profit in Hong Kong. It is, however, facing two constraints. First, the final sales price in Great Britain must be £20,000 or less to remain competitive. Secondly, the British tax authorities-in working with Torrington Edge's cost accounting staff-has established a maximum transfer price allowed (from Hong Kong) of £17,800. What combination of markups do you recommend for Torrington Edge to institute? What is the impact of this repositioning on consolidated profits on after-tax and total tax payments?

Solution Preview :

Prepared by a verified Expert
Management Theories: Secondly the british tax authorities-in working with
Reference No:- TGS02472953

Now Priced at $15 (50% Discount)

Recommended (91%)

Rated (4.3/5)