transfer pricing case studies workshop san jose 31 march - 4 april 2014

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TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE 31 MARCH - 4 APRIL 2014 3-d. Functional Analysis – Canadian Approach OECD freely authorises the use of this material for non-commercial purposes. All requests for commercial uses of this material or for translation rights should be submitted to [email protected] . The opinions expressed and arguments employed herein are those of the author and do not necessarily reflect the official views of the OECD or of the governments of its member countries.

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TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE 31 MARCH - 4 APRIL 2014. 3-d. Functional Analysis – Canadian Approach. - PowerPoint PPT Presentation

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Page 1: TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE  31 MARCH - 4 APRIL 2014

TRANSFER PRICING CASE STUDIES

WORKSHOP

SAN JOSE

31 MARCH - 4 APRIL 2014

3-d. Functional Analysis – Canadian Approach

OECD freely authorises the use of this material for non-commercial purposes. All requests for commercial uses of this material or for translation rights should be submitted to [email protected] opinions expressed and arguments employed herein are those of the author and do not necessarily reflect the official views of the OECD or of the governments of its member countries.

Page 2: TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE  31 MARCH - 4 APRIL 2014

2

Risk Assess the File

• Knowledge of the Company, Industry and Business Structure:• Organisational charts; Annual Reports; “contemporaneous

documentation”; Internet search for articles; filings with Securities Commissions.

• Obtain contracts, agreements, etc. – look for internal CUPs, understand how the transactions are structured.

• Obtain segmented financial statements:- analyse gross profit and operating profit of Domestic Company and foreign

associated enterprise(s)

- identify “system profit”

• Clearly identify the transactions and the applicable treaty.

Page 3: TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE  31 MARCH - 4 APRIL 2014

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Factors Determining Comparability

• 5 major factors:i. Characteristics of property or services

ii. Functional analysis – Functions, Assets, Risks

iii. Contractual terms

iv. Economic circumstances

v. Business strategies

• Arm’s length principal - compare conditions in controlled transaction with conditions in uncontrolled transactions.

• Determine if any “reasonably accurate adjustments” are necessary.

• All TPMs are based on a certain degree of comparability.

Page 4: TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE  31 MARCH - 4 APRIL 2014

• Why …• What …• When …• Where …• How …• Who …

Functional Analysis

4

Page 5: TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE  31 MARCH - 4 APRIL 2014

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Functional Analysis - Why?

• Critical audit step – verify that what is reported to the tax administration reflects what is actually being done.

• So that we can determine:• tested party• most appropriate methodology• most appropriate comparables

• Goal is to determine: who should get what for the functions performed; which parties are responsible for value-added activity?

• Identify key profit drivers. • Need to support file for Appeals / Competent Authority /

Court

Page 6: TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE  31 MARCH - 4 APRIL 2014

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Functional Analysis – Who

• Go to the taxpayer’s premises to:– interview the taxpayer’s key personnel

– do a tour of the premises

– obtain thorough understanding of the domestic operations

• Interview the people who are actually performing the functions.

Page 7: TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE  31 MARCH - 4 APRIL 2014

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Functional Analysis - What?

What is functional analysis? = Functions performed; Assets used by all parties

involved in the transaction; Risks assumed.• Functions: Production; Marketing; Distribution;

Management; Administrative; Technology• Assets: Tangibles; Intangibles; Working Capital• Risks: Technological; Market; Credit; Foreign

Exchange; Litigation; Inventory; Capital Investment

Page 8: TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE  31 MARCH - 4 APRIL 2014

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Functional Analysis - When?

• On every single file!• It should be done for all related party

transactions and/or product lines.• Done BEFORE making ANY determinations as to

who is the tested party, what methodology will apply, or who the comparables will be.

• Do not get into discussions of comparables with the taxpayer or their representatives until you have completed the functional analysis.

Page 9: TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE  31 MARCH - 4 APRIL 2014

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Functional Analysis - Where?

• It is easy for a taxpayer to state what functions are performed in the other country, we need to verify the accuracy of their statements.

• Visit the domestic operations, and go to the foreign jurisdiction (when possible).

• Transfer pricing audits are not a desk job!• Level of detail will vary, case-by-case, and

depending on the issue.

Page 10: TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE  31 MARCH - 4 APRIL 2014

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Functional Analysis - How?

Before the Functional Analysis Interviews:• Understand the company and major functions so

you interview the right people and ask the right questions.

• Do not interview only the Director/VP levels; interview the people actually doing the job. • Use the Organisational Charts to identify people to

interview.

• Ask questions geared to that company and the specific industry and markets they operate in.

Page 11: TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE  31 MARCH - 4 APRIL 2014

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Functional Analysis – How?

During the Functional Analysis Interviews:• Take detailed notes.• Team approach - two auditors on every interview

– one to ask questions, one to take notes.• If taxpayer requests questions in advance, we

explain that we will be asking questions that will help us get an understanding of their operations. It is basically, “What do you do?” “How do you do it?” Further questions then flow from their answers.

Page 12: TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE  31 MARCH - 4 APRIL 2014

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Functional Analysis – How?

After the Functional Analysis Interviews:• Write up notes as soon as possible.• Must be factual, not opinions.• What to do if the taxpayer is delaying/not fully

co-operating?• Taxpayer must provide documentary support for

any facts they disagree with.• Do not debate methodologies or comparables

before completing functional analysis

Page 13: TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE  31 MARCH - 4 APRIL 2014

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Functional Analysis – How?

After the Functional Interviews:• Determine how to classify the entity; do not worry

about “labels”. • Relate the functional analysis to profit drivers. • Using the functional analysis:

• Determine tested party – least complex entity and/or most reliable information.

• Determine the TPM• Find comparable transactions - similar levels of asset

intensity, bearing similar risks

Page 14: TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE  31 MARCH - 4 APRIL 2014

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Conclusion

The end goal is to determine if the terms and conditions in the controlled transaction are what we would see in a comparable uncontrolled transaction.

Page 15: TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE  31 MARCH - 4 APRIL 2014

Questions and/or comments?