48-7-58
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48-7-58.
(a)
When the commissioner has reason to believe that any taxpayer conducts his or
her trade or business so as to evade taxes, distort directly or indirectly his
or her true net income, or distort directly or indirectly the net income
properly attributable to this state, whether by the arbitrary shifting of
income, through price fixing, charges for service, or otherwise, as a result of
which the net income is arbitrarily assigned to a person related to the
taxpayer, the commissioner may require the facts as he or she deems necessary
for the proper computation of the entire net income and the net income properly
attributable to this state. In determining the computation, the commissioner
shall consider the fair profit which would normally arise from the conduct of
the trade or business. The commissioner shall by regulation provide when to
apply this subsection.
(b)(1)
Additionally, the commissioner may determine the amount of taxable income of any
one or more corporations for a calendar or fiscal year when a corporation:
(A)
Subject to taxation under this chapter conducts its business in such manner as
to benefit either directly or indirectly the members or stockholders of the
corporation or any person interested in the business of the corporation by
selling its products or the goods or commodities in which it deals at less than
the fair price which might be obtained for the goods or commodities;
(B)
A substantial portion of whose capital stock is directly or indirectly owned by
another corporation acquires and disposes of the products of the corporation so
owning a substantial portion of its stock in such a manner as to create a loss
or improper net income for either of the corporations; or
(C)
Directly or indirectly owning a substantial portion of the stock of another
corporation acquires and disposes of the products of the corporation of which it
so owns a substantial portion of the stock in such a manner as to create a loss
or improper net income for either of the corporations.
(2)
In his or her determination, the commissioner shall consider the reasonable
profits which, but for the arrangement or understanding, might or could have
been obtained by the corporation or corporations subject to taxation under this
chapter from dealing in such products, goods, or commodities.