INTM467040 - Establishing the arm's length price: gathering your own evidence
Dealing with global transfer pricing
A multinational enterprise ('MNE') will have to comply with the
transfer pricing regulations of a number of different countries.
The reporting requirements and degree of documentation will differ
from country to country. The MNE may look to reduce its compliance
costs by producing a 'one size fits all' transfer pricing policy.
This is understandable and acceptable and provided the work
undertaken satisfies the UK requirements for using the arm’s
length standard, it should not cause a problem.
However there can sometimes be problems with a global policy,
which need to be addressed during the course of a transfer pricing
enquiry, some of which are detailed below. You should establish
from the outset what policy the MNE has adopted for transfer
pricing.
Most countries adopt the arm’s length standard for
pricing intra-group transactions, and will be guided by the OECD
Transfer Pricing Guidelines. The US has a detailed set of
regulations for establishing the arm’s length price, the
majority of which are influenced by OECD methods. Some countries
however use a formulaic approach for setting an arm’s length
price, which is not recommended in the OECD Guidelines.
In other cases, there may be differing approaches towards
valuation methods. For example, while both the UK and US tax
authorities believe it is generally acceptable to charge for the
costs of providing share options to staff, each might take a
different view towards valuing the arm’s length price of
providing those options.
A UK company may be considered by the group as part of a
Europe-wide region. The transfer pricing policy may be based on
considering whether the policy produces the correct return for
Europe as a whole, as opposed to results made by individual
countries.
The comparability exercise of a transfer pricing report may
use comparable companies from just one country in Europe, or even
only those from the home territory of the MNE.
The functional analysis of a transfer pricing report may look
at Europe as a whole, and fail to address particular functions or
risks undertaken or borne by individual countries.
The transfer pricing policy of the MNE may be structured so
as to over-comply with one country’s transfer pricing
regulations.
These possibilities mean that you should always understand
precisely what the group’s transfer pricing policy is, how it
works in practice and how this might influence the way in which
transfer prices have been set.
Scrutinise carefully any claims that a company has exercised
its best endeavours to set transfer prices and therefore no
adjustment is due. The UK code says that arm's length prices must
be used.
