Transfer Pricing Flashcards
What are the goals of an OECD conform transfer pricing documentation?
-Compliance : ensure that the taxpayer sets prices in accordance with the arm’s length principle, as well as national transfer pricing laws when preparing the tax return.
-Risk : provision of a corresponding data basis for a risk-orientated pre-audit of the transfer prices by the tax authorities
-Audit : provision of useful information, which allows for a reasonable audit of the transfer prices
What are the three-layered Transfer Pricing documentation concept?
- Master File
- Local File
- CbC Template
Explain the concept of Master File (1 of the 3-layered transfer pricing documentations)
-Organisation structure of MNE
-Nature of global business operations
-Intangibles
-Intra-group financing
-Income and tax positions
Explain the concept of Local File (1 of the 3-layered transfer pricing documentations)
-Detailed information on local entity
-Focus on transaction-based information
-Economic analysis according to the arm’s length principle
Explain the concept of CbC Template (1 of the 3-layered transfer pricing documentation)
-Aggregate tax jurisdiction-wide information relating to the global allocation of the income, the taxes paid, and certain indicators of the location of economic activity
What is Transfer Pricing?
It is the source of tax.
It relates to the charged prices of cross-border transactions among related entities. Which country is entitled to tax what??
List the National German Laws on Transfer Pricing Regulations
-Tax Code ‘Abgabenordnung’ (Duty of Cooperation and Documentation)
-Tax Laws : AStG, EStG, KStG (with regard to income adjustments)
-GAufzV : Decree-LAw on the Manner, Content and Extent of Documentation
-Ordinance on the Allocation of Profit of Permanent Establishments
FVerlV : Decree-Law applying in cases of Cross-border Relocations of Functions
-Relevant Circular Letters (BMF Schreiben)
What is the OECD?
(Organisation for Economic Co-Operation and Development )
It is an international organisation of specific member countries where they all speak about what they need.
They work together to :
-Compare policy experiences
-Seek answers to common problems
-Identify good practices
-Coordinate domestic and international policies
List the EU International Transfer Pricing Regulations
-Double Tax Treaties / OECD Model Tax Convention
-OECD Transfer Pricing Guidelines 2022
-Multilateral Convention to implement Tax Treaty related Measures to prevent Base Erosion and Profit Shifting (Multilateral Instrument)
-EU Arbitration Convention
-EU Directive on Tax Dispute Resolution Mechanism
-EU Code of Conduct for the Documentation of Transfer Prices
-Documents of the EU Joint Transfer Pricing Forums
What is the OECD Model Tax Convention on Income and on Capital (International Regulation)
-A pattern for double tax treaties
-The 2017 edition of the OECD Model mainly reflects a consolidation of the treaty-related measures resulting from the work on the OECD/G20 BEPS Project under:
>Act 2 (Neutralising the effects of hybrid mismatch arrangements)
>Act 6 (Preventing the granting of treaty benefits in inappropriate circumstances)
>Act 7 (Preventing the artificial avoidance of permanent establishment status)
>Act 24 (Making dispute resolution more effective)
What is the OECD Transfer Pricing Guidelines 2022
-Used as a basis for Mutual Agreement Procedures and are therefore an important source of interpretation
-Only ‘soft law’
-Substantial revisions to reflect the clarifications and revisions agreed in the 2015 BEPS Reports on:
> Acts 8-10 (Aligning Transfer pricing Outcomes with Value Creation
> Act 13 (Transfer Pricing Documentation and Country-by-Country Reporting)
Explain Article 9 in the OECD Model Tax Convention
Associated enterprises and profit attribution
-where an enterprise of a Contracting State participates directly or indirectly in the management, control, or capital of an enterprise of the other Contracting State or
-where the same people participate directly or indirectly in the management, control or capital of an enterprise of a Contracting State and an enterprise of the other Contracting State
-In either case, conditions are made between 2 enterprises in their commercial or financial relations that differ from those which would be made between independent enterprises.
What is the definition of control in Art 9 OECD Model Tax Convention
Control doesn’t mean it’s only happening on legal grounds but also on business grounds.
The definition includes any kind of control, including :
-Direct or indirect
-Exercisable or not
-Exercised or not
Therefore control is not limited to legal ownership but depends on all the facts and circumstances. The concept of control may differ between countries.
Define Controlled Transactions
- related party transactions
- These transactions are happening between related parties.
- e.g the sale or purchase of tangible or intangible property or the provision of services are considered ‘controlled transactions’
- Rooted in article 9
Define uncontrolled transactions
- Between unrelated parties
- e.g. the sale or purchase of tangible or intangible property , or the provision of services.