INTM431030 - What is transfer pricing all about?
How does the arm’s length principle solve the transfer pricing problem?
There is a general international consensus that, to achieve a
fair division of taxing profits and to address international double
taxation, transactions between connected parties should be treated
for tax purposes by reference to the amount of profit that would
have arisen if the same transactions had been executed by
unconnected parties. This is the
arm's length principle.
For a variety of reasons, the trading arrangements and
pricing policies under which multinational groups operate can
result in prices and terms considerably different from those which
would have been seen between independents engaged in the same or
similar transactions. The pricing terms which would be expected to
be seen between independents is referred to as `
arm's length`.
The arm's length principle is applied to a controlled
transaction by:
replacing (hypothetically)
- the actual terms (price, etc.) under which a transaction was done
with
- arm's length terms
and (for tax purposes)
- recalculating the profits accordingly.
The arm's length principle is endorsed by the OECD and enshrined
in the Associated Enterprises Article of the OECD Model Tax
Convention on Income and on Capital (usually referred to as the
OECD Model Treaty). It enjoys general international consensus. See
INTM431040 for further information on
the Associated Enterprises Article of the OECD Model Treaty.
But the complexities of applying the arms' length principle
in practice should not be underestimated. Because of the closeness
of the relationship between the parties there can be genuine
difficulties in determining what arm's length terms would have been
- especially where it is not possible to find wholly comparable
transactions between unconnected parties. There are many factors to
take into account. Consequently, the exercise can be as much an art
as a science.
