Which of the following lists are acceptable methods for adopting a reasonable transfer price between a Canadian parent and its foreign subsidiary corporations?
A) Comparable arm's-length selling price method; cost-plus method; resale price method
B) Comparable arm's-length selling price method; lowest tax rate method; profit-margin method
C) Cost-plus method; resale price method; profit-margin method
D) Lowest tax rate method; resale price method; comparable arm's-length selling price method
Correct Answer:
Verified
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