Transfer Pricing Issues in India A Practitioner View

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Transfer Pricing Issues in India A Practitioner View Mumbai December 2, 2005 Shyamal Mukherjee

Agenda Transfer Pricing (TP) audits Application of TP principles for attributing profits to Permanent Establishments (PE)

Data for Comparability Analysis Contemporaneous documentation required [Rule 10D(4)] Preference for current year data for comparability analysis [Rule 10B(4)] Use of past 2 years data permitted only in certain circumstances Multiple year analysis more relevant - allowed globally Paras 1.49 and 1.50 of the OECD Guidelines Use of past years data should be permitted unconditionally

Data for Comparability Analysis Transfer Pricing audits Fresh search for updated data at the time of audit - such data not available with the taxpayer while computing arm s length prices (Paras 5.3 and 5.9 of the OECD Guidelines) Issue assumes more relevance on account of limited tolerance band of (+/-) 5% in the Indian Rules Globally - Use of Inter Quartile Range (IQR) permitted Data available with taxpayer at the time of documentation should be acceptable and used in audits Indian rules should recognize the concept of IQR and replace mean with median

Other data issues Indian regulations should allow use of average of taxpayer s data (2/3 year average) Better comparability analysis Evens out seasonal variations/business cycle In most cases, TNMM (more like a CPM analysis) used by taxpayer Data limitations should be recognized and accepted in any TP analysis/audit

Application of 5% range 5% range should be permitted even if prices used by taxpayer are outside the tolerance band of (+/-)5%. How to apply the 5% range in case of multiple transactions? Guidance required on above

Secret Comparables & Confidentiality of Information Information obtained by tax authorities u/s 133(6) - not part of public domain and not known to the taxpayer while computing Arm s Length Price (Paras 5.3, 5.9 and 5.10 of OECD Guidelines) Information relating to comparables used by authorities to determine Arm s Length Price needs to be shared with the taxpayer Safeguards to ensure secrecy of information of strategic importance Data not available in public domain should not be used during audit proceedings

Business Strategies and economic principles Acceptability of business strategies adopted by taxpayer: Start-up companies Loss leaders Use of budgets and forecasts Other business and commercial practices Set-off transactions Reliance on economic techniques and methods Acceptability of OECD Guidelines and principles laid down in overseas case laws Business realities and commercial considerations should be recognized and accepted

Transfer Pricing audits Absence of residuary TP Method Application of other non-specified pricing methods which are in accordance with arm s length principle for transactions like: Transfer of intangibles Cost contribution agreements Other transactions Use of a variant of specified method (e.g. Cost Plus) Introduce a residuary method - any other method that complies with the arm s length standard

Transactions between an Indian Entity and an Indian PE of the Group PE subject to tax in India on net profits basis Transactions between an Indian entity and PE of a foreign group Company domestic transaction, no cross border transaction Such transactions may be excluded from TP regulations

Double Taxation of group profits Refund of withholding tax not allowed in case of expense adjustment [second proviso to Section 92C(4)] Results in double taxation of group profits against basic principles of taxation Corresponding adjustments should be permitted

Advance Pricing Arrangement Arm s Length an abstract concept APA s allowed globally Need for comprehensive procedure to obtain APA Adequate mechanism for negotiating bilateral and multilateral APA s required Participation may be possible under MAP article of relevant tax treaty Introduce APA mechanism in domestic tax law

Application of TP principles for attributing profits to a PE

Application of TP principles for attributing profits to PE Lack of international consensus on interpretation of Articles 7(1) and 7(2) of tax treaties OECD draft prefers the functionally separate entity approach over the relevant business activity approach Indian TP code defines a PE as on Enterprise and applies the TP code to Indian PEs (functionally separate entity approach) Rule 10 (ii) of domestic tax law continues to apply a procedure similar to the relevant business activity approach for determining non-resident profits to be taxed in India Disconnect needs to resolved, TP principles should always be applied to determine business profits of non-resident liable to India tax

Some challenges in applying TP to PE attribution Use of intangibles (deductibility of notional royalties etc.) Capital allocation and internal funding Internal services (cost vs. mark-up) Use of capital assets and changes in asset allocation Withholding tax and related compliance issues Recent ruling of second appellate authority (ITAT)

Thank You