Supporting documents to the TP Introduction and Update Seminar
The Continuing Education Questions are at the bottom of this page.
Seminar recordings:
The first part of the first lecture by Prof. Dr. Erasmus was not clear due to connectivity issues. That first part is clearly recorded above.
Updated and combined Slide presentations:
Latest TP cases in Africa:
Additional documents:
4. The latest on the profit split method – http://www.oecd.org/tax/transfer-pricing/revised-guidance-on-the-application-of-the-transactional-profit-split-method-beps-action-10.pdf
5.South Africa’s first transfer pricing case_ – Lexology and see https://www.pwc.co.za/en/assets/pdf/synopsis/synopsis-may-2018.pdf
6. See the country summaries below as well – New Mozambique TP rules
7.See the country summaries below as well – KENYA TRANSFER PRICING OVERHAUL 2018
8.Nigeria – See the country summaries below as well – Transfer-Pricing-Newsletter-Presentation-on-Impact-of-BEPS-and-Other-Reforms
9.See the country summaries below as well – Zambia 2018 TP rules
10. A Zambia ZRA case study on management feesManagement fees refer to charges imposed by a parent company or central management entity within a multinational group for providing centralised services to its subsidiaries or associated enterprises. These services typically include administrative, strategic, technical, or operational support. Management fees are often structured to cover costs incurred by the parent company and are allocated to benefiting entities under transfer pricing... in a mining group structure presented to ATAF: TP ZAMBIA ZRA Nov 2016 illustration of management services
Country summaries of TP laws, rules and regulations:
https://www.tpa-global.com/dv/page23901/country-summaries
IRS updates table for country-by-country reporting jurisdictions
A case study for illustration and Continuing Education purposes:
Transfer PricingTransfer pricing is a fundamental concept in international taxation that defines the pricing methods and rules applied to transactions between related entities within a multinational enterprise (MNE). In the context of tax regulations, it governs how prices for goods, services, or intangibles (such as intellectual property) are set when these items are exchanged between different branches, subsidiaries, or affiliates of... in a Nutshell – by Dr. Ferdie Schneider, Head of Tax, BDO Johannesburg
The advent of the Organisation for Economic Cooperation and Development’s (OECD’s) work on Base Erosion and Profit ShiftingBEPS stands for "Base Erosion and Profit Shifting". BEPS refers to tax avoidance strategies used by multinational enterprises (MNEs) to exploit gaps and mismatches in the international tax system. By shifting profits from high-tax jurisdictions to low- or no-tax locations, MNEs reduce their overall tax burden, even if little to no economic activity occurs in the low-tax jurisdictions. These practices erode... (BEPSBEPS stands for "Base Erosion and Profit Shifting". BEPS refers to tax avoidance strategies used by multinational enterprises (MNEs) to exploit gaps and mismatches in the international tax system. By shifting profits from high-tax jurisdictions to low- or no-tax locations, MNEs reduce their overall tax burden, even if little to no economic activity occurs in the low-tax jurisdictions. These practices erode...) saw a brand new global focus on Transfer PricingTransfer pricing is a fundamental concept in international taxation that defines the pricing methods and rules applied to transactions between related entities within a multinational enterprise (MNE). In the context of tax regulations, it governs how prices for goods, services, or intangibles (such as intellectual property) are set when these items are exchanged between different branches, subsidiaries, or affiliates of.... The purpose of Transfer PricingTransfer pricing is a fundamental concept in international taxation that defines the pricing methods and rules applied to transactions between related entities within a multinational enterprise (MNE). In the context of tax regulations, it governs how prices for goods, services, or intangibles (such as intellectual property) are set when these items are exchanged between different branches, subsidiaries, or affiliates of... legislation is a simple one. As the world economies globalise and international trade increase, multinationals increasingly spread their economic activity across the globe. Multinationals have access to sophisticated measures that can minimise tax payable across the globe. One of these measures is transfer pricingTransfer pricing is a fundamental concept in international taxation that defines the pricing methods and rules applied to transactions between related entities within a multinational enterprise (MNE). In the context of tax regulations, it governs how prices for goods, services, or intangibles (such as intellectual property) are set when these items are exchanged between different branches, subsidiaries, or affiliates of.... Multinationals can reduce their tax bills through pricing between connected parties, ensuring that the profits are transfer priced to the lowest tax jurisdictionTax jurisdiction refers to the authority granted to governments or local taxing bodies to impose taxes on individuals, businesses, or transactions within a specific geographical area or based on particular criteria. This concept is a cornerstone of international tax law, determining which countries have the right to tax certain individuals or entities and under what conditions. As businesses and individuals.... These transfer pricingTransfer pricing is a fundamental concept in international taxation that defines the pricing methods and rules applied to transactions between related entities within a multinational enterprise (MNE). In the context of tax regulations, it governs how prices for goods, services, or intangibles (such as intellectual property) are set when these items are exchanged between different branches, subsidiaries, or affiliates of... mechanisms are less efficient with traditional goods and services (although not necessarily inefficient), and much more difficult to detect in intangible type transactions such as trade-marks, intellectual property, and the like. Global cooperation between Tax RevenueTax Revenue is the income collected by governments through various taxes imposed on individuals, corporations, and transactions. It is a primary source of funding for public expenditures, including infrastructure, healthcare, education, and social services. Tax revenue can come from different types of taxes, such as income tax, corporate tax, value-added tax (VAT), excise duties, and customs tariffs. The level and... Authorities and exchange of information across the globe support the monitoring and tracking of transfer pricingTransfer pricing is a fundamental concept in international taxation that defines the pricing methods and rules applied to transactions between related entities within a multinational enterprise (MNE). In the context of tax regulations, it governs how prices for goods, services, or intangibles (such as intellectual property) are set when these items are exchanged between different branches, subsidiaries, or affiliates of... between multinationals. Continued automation and digitisation would probably see a tremendous increase in tax adjustments resulting from Transfer PricingTransfer pricing is a fundamental concept in international taxation that defines the pricing methods and rules applied to transactions between related entities within a multinational enterprise (MNE). In the context of tax regulations, it governs how prices for goods, services, or intangibles (such as intellectual property) are set when these items are exchanged between different branches, subsidiaries, or affiliates of... in future.
South Africa actively supports the OECD’s work on BEPSBEPS stands for "Base Erosion and Profit Shifting". BEPS refers to tax avoidance strategies used by multinational enterprises (MNEs) to exploit gaps and mismatches in the international tax system. By shifting profits from high-tax jurisdictions to low- or no-tax locations, MNEs reduce their overall tax burden, even if little to no economic activity occurs in the low-tax jurisdictions. These practices erode.... In support of the BEPSBEPS stands for "Base Erosion and Profit Shifting". BEPS refers to tax avoidance strategies used by multinational enterprises (MNEs) to exploit gaps and mismatches in the international tax system. By shifting profits from high-tax jurisdictions to low- or no-tax locations, MNEs reduce their overall tax burden, even if little to no economic activity occurs in the low-tax jurisdictions. These practices erode... initiative, the South African Revenue ServiceThe South African Revenue Service (SARS) is the official tax authority responsible for the administration and enforcement of tax laws in South Africa. It plays a crucial role in managing the country’s fiscal policy by collecting revenue, administering customs, and ensuring compliance with tax legislation. Established under the South African Revenue Service Act, No. 34 of 1997, SARS functions independently... (SARSThe South African Revenue Service (SARS) is the official tax authority responsible for the administration and enforcement of tax laws in South Africa. It plays a crucial role in managing the country’s fiscal policy by collecting revenue, administering customs, and ensuring compliance with tax legislation. Established under the South African Revenue Service Act, No. 34 of 1997, SARS functions independently...) has issued various regulations and guidelines on the subject, aimed at enforcing and monitoring transfer pricingTransfer pricing is a fundamental concept in international taxation that defines the pricing methods and rules applied to transactions between related entities within a multinational enterprise (MNE). In the context of tax regulations, it governs how prices for goods, services, or intangibles (such as intellectual property) are set when these items are exchanged between different branches, subsidiaries, or affiliates of.... South Africa’s Transfer PricingTransfer pricing is a fundamental concept in international taxation that defines the pricing methods and rules applied to transactions between related entities within a multinational enterprise (MNE). In the context of tax regulations, it governs how prices for goods, services, or intangibles (such as intellectual property) are set when these items are exchanged between different branches, subsidiaries, or affiliates of... (cross-border) legislation has its origins in one section only, namely section 31 of the Income TaxIncome Tax is a direct levy imposed by governments on the income generated by individuals, corporations, and other entities within a specific jurisdiction. It serves as a major source of revenue for governments and funds various public expenditures, such as infrastructure projects, healthcare, education, national security, and welfare programs. The tax is generally calculated as a percentage of the taxable... Act, 1962 (ITA). The principle of Transfer PricingTransfer pricing is a fundamental concept in international taxation that defines the pricing methods and rules applied to transactions between related entities within a multinational enterprise (MNE). In the context of tax regulations, it governs how prices for goods, services, or intangibles (such as intellectual property) are set when these items are exchanged between different branches, subsidiaries, or affiliates of... is based on the simple premise of comparing pricing of transactions between unrelated parties to that of related parties. As the law now forces compliance with Transfer PricingTransfer pricing is a fundamental concept in international taxation that defines the pricing methods and rules applied to transactions between related entities within a multinational enterprise (MNE). In the context of tax regulations, it governs how prices for goods, services, or intangibles (such as intellectual property) are set when these items are exchanged between different branches, subsidiaries, or affiliates of... legislation and regulations, the manner in which the transfer pricingTransfer pricing is a fundamental concept in international taxation that defines the pricing methods and rules applied to transactions between related entities within a multinational enterprise (MNE). In the context of tax regulations, it governs how prices for goods, services, or intangibles (such as intellectual property) are set when these items are exchanged between different branches, subsidiaries, or affiliates of... should be evidenced or justified is prescribed. Non-compliance could of course lead to penalties.
Transfer PricingTransfer pricing is a fundamental concept in international taxation that defines the pricing methods and rules applied to transactions between related entities within a multinational enterprise (MNE). In the context of tax regulations, it governs how prices for goods, services, or intangibles (such as intellectual property) are set when these items are exchanged between different branches, subsidiaries, or affiliates of... has developed into a science or an art (with specialists consulting only in this area), the artist sharing DNA with an entrepreneur (or business expert), an economist (understanding economic flows), a tax expertA Tax Advisor is a professional who provides specialised advice to individuals, businesses, and organisations on various tax-related matters. They play a crucial role in guiding clients through complex tax laws and ensuring compliance with the latest regulations while identifying opportunities for tax efficiency. Tax Advisors must stay updated on legislative changes and understand the impact of international tax treaties,... (understanding the detail of the tax lawTax laws form the backbone of any nation’s revenue system, setting the rules that govern how individuals and corporations contribute financially to support government functions. These laws define the types of taxes, the applicable rates, and the regulations regarding payment and compliance. They also outline the rights and obligations of taxpayers, ensuring a balanced and fair approach to funding public...), and a supply-chain expert. The first step in painting the picture is to prepare the canvass, which needs to be filled with an in-depth understanding of the nature of the group of companies that transact cross-border. A thorough understanding of the industries in which these group entities operate is very important, as this forms the basis to find comparable pricing between unrelated parties. The segmentation of the businesses deserves special attention and could include segregating manufacturing, distribution, etc. Identifying group transactions such as intercompany (and cross-border) funding or finance, management services, and brand or intellectual property related items is fundamental. Transfer PricingTransfer pricing is a fundamental concept in international taxation that defines the pricing methods and rules applied to transactions between related entities within a multinational enterprise (MNE). In the context of tax regulations, it governs how prices for goods, services, or intangibles (such as intellectual property) are set when these items are exchanged between different branches, subsidiaries, or affiliates of... legislation then basically requires that a number of exercises be completed. The first being to compile a Master File. The Master File belongs to the HQ or Group Holding company. The Master File also serves to house the data, analyses, and detail of the group’s companies in other jurisdictions. BenchmarkingBenchmarking, within the context of transfer pricing, refers to the process of analysing and comparing financial and economic data from independent companies to establish a fair and arm’s length price for controlled transactions. It is typically conducted using databases that provide details about comparable companies and transactions. The objective is to determine whether the terms and conditions of intercompany transactions... studies are used to verify or benchmarkBenchmarking, within the context of transfer pricing, refers to the process of analysing and comparing financial and economic data from independent companies to establish a fair and arm’s length price for controlled transactions. It is typically conducted using databases that provide details about comparable companies and transactions. The objective is to determine whether the terms and conditions of intercompany transactions... the pricing of similar transactions between unrelated parties in comparable circumstances. BenchmarkingBenchmarking, within the context of transfer pricing, refers to the process of analysing and comparing financial and economic data from independent companies to establish a fair and arm’s length price for controlled transactions. It is typically conducted using databases that provide details about comparable companies and transactions. The objective is to determine whether the terms and conditions of intercompany transactions... studies requires solid experience in what to look for, the countries or companies to benchmarkBenchmarking, within the context of transfer pricing, refers to the process of analysing and comparing financial and economic data from independent companies to establish a fair and arm’s length price for controlled transactions. It is typically conducted using databases that provide details about comparable companies and transactions. The objective is to determine whether the terms and conditions of intercompany transactions... against, and also alignment of the products or services being compared to the data set. Most (if not all) benchmarkingBenchmarking, within the context of transfer pricing, refers to the process of analysing and comparing financial and economic data from independent companies to establish a fair and arm’s length price for controlled transactions. It is typically conducted using databases that provide details about comparable companies and transactions. The objective is to determine whether the terms and conditions of intercompany transactions... studies require the use of a data search machine, to ensure that the data used is of adequate size and comparability that it will substantiate the researcher’s intuitive direction and conclusion, given the knowledge of the industry and offerings. A Local File must also be compiled. The Local File contains the data, analyses, and detail of that country’s cross-border trading companies in the group. Various methods of comparative data analyses can be used, but the method/s chosen must be appropriate given all the factors, and its use must be justified. The final requirement is the completion of a Country-by-Country-Report (CbCR), which includes relevant data of the Group Company and companies in the group.
SARSThe South African Revenue Service (SARS) is the official tax authority responsible for the administration and enforcement of tax laws in South Africa. It plays a crucial role in managing the country’s fiscal policy by collecting revenue, administering customs, and ensuring compliance with tax legislation. Established under the South African Revenue Service Act, No. 34 of 1997, SARS functions independently..., as early as 1999, issued a comprehensive Practice Note dealing with section 31 of the ITA and determination of taxable incomeThe tax base is a fundamental concept in taxation, representing the total amount of economic activity or assets upon which a tax is levied. It is the foundation upon which governments calculate the amount of tax owed, based on factors like income, property value, sales, or corporate profits. Understanding the tax base is essential for tax professionals, businesses, and policymakers,... arising from international transactions. In 2017 SARSThe South African Revenue Service (SARS) is the official tax authority responsible for the administration and enforcement of tax laws in South Africa. It plays a crucial role in managing the country’s fiscal policy by collecting revenue, administering customs, and ensuring compliance with tax legislation. Established under the South African Revenue Service Act, No. 34 of 1997, SARS functions independently... issued a statement in terms of section 25 of the Tax AdministrationTax authorities are fundamental institutions within government frameworks, overseeing tax assessment, collection, and administration. Their operations ensure that tax laws are enforced and public funds are collected efficiently. This article delves into tax authorities' purpose, responsibilities, and structure, offering insights into their essential role in supporting government functions and economic stability. What is a Tax Authority? A tax authority is... Act, 2011 (TAA) on persons required to submit returns. In terms thereof a resident Reporting Entity (and in certain instances a Constituent Entity) must submit a Master File, Local File, and CbCR. A resident person who’s total potentially affected transactions for a year of assessment (before set-off) exceeds or is expected to exceed R100 million must submit a Master File if the ultimate holding company of the Group in which that person is a member, is a resident, or if a Master file is prepared by another entity in the Group of which that person is a member; and a Local File. These returns are required to be submitted, depending on the filing required, either within 12 months form the last day of the Reporting Fiscal Year, or 12 months from the financial year end of that person.
Transfer PricingTransfer pricing is a fundamental concept in international taxation that defines the pricing methods and rules applied to transactions between related entities within a multinational enterprise (MNE). In the context of tax regulations, it governs how prices for goods, services, or intangibles (such as intellectual property) are set when these items are exchanged between different branches, subsidiaries, or affiliates of..., if not already, will in the years to come (perhaps together with Indirect Taxation, especially VAT) be one of the major focuses in the tax world of multinationals.
QUESTIONS SHEET
Mark | ||||
1. | The price charged for shoes must be consistent with which standard? | 1 | ||
2. | The price is determined through ___________? | 1 | ||
3. | Name the 2 key Transfer PricingTransfer pricing is a fundamental concept in international taxation that defines the pricing methods and rules applied to transactions between related entities within a multinational enterprise (MNE). In the context of tax regulations, it governs how prices for goods, services, or intangibles (such as intellectual property) are set when these items are exchanged between different branches, subsidiaries, or affiliates of... Guidelines. | 2 | ||
4. | What are the 5 well-known TP methodologies? | 5 | ||
5. | Where does the 6th method come from? | 1 | ||
6. | What does the 6th method affect? | 1 | ||
7. | When contract manufacturingContract manufacturing refers to a business model where a company engages a third-party manufacturer to produce goods based on its specifications. The principal retains ownership of the raw materials, intellectual property, and finished goods, while the manufacturer focuses on production. Contract manufacturing arrangements are common in industries such as pharmaceuticals, electronics, and apparel, enabling companies to reduce costs, access specialised... is done between the US and China for shoes, what TP method is usually used? | 1 | ||
8. | When a full-risk manufacturer is set up by the US in France, what does the US supply? | 1 | ||
9. | Continuing question 8, what does France pay? | 1 | ||
10. | US then starts to manage all its subsidiaries world-wide providing general administration functions, human resources, legal and other functions. What are these services called in TP? | 1 | ||
11. | In the case study, those services are reflected as being charged using which method? | 1 | ||
12. | Lecturer Solomon Choge distinguished between 2 types of management services between associated companies:
_________ value services _________ value services |
2 | ||
13. | In dispute resolution, double tax treaties have which procedure that taxpayers can use to get 2 competent authorities to co-operate and find a solution? | 1 | ||
14. | At the end of a TP audit, what information should you expect from Revenue Authorities? | 3 | ||
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Responses