Relevance of Transfer Pricing


Transfer Pricing is typically one of the most significant tax issues for multinational groups, given its subjectivity and the increasing concern of tax authorities worldwide to ensure profits are not inappropriately shifted through non-arm’s length pricing. In many jurisdictions, this has been exemplified by tax authority scrutiny of a number of arrangements, including particularly intellectual property, financing, procurement/marketing hub arrangements, and a continued general focus to ensure that they are not missing out on their ‘fair share’ of the overall value chain's profits. 

However, Transfer Pricing risks cannot be considered simply from the perspective of one jurisdiction: adopting a conservative position in one jurisdiction will put pressure on transfer pricing risks in other jurisdictions. As such, a holistic and balanced approach is required - as well as the exercise of sound professional judgment and expertise. However, Transfer Pricing risks cannot be considered simply from the perspective of one jurisdiction: adopting a conservative position in one jurisdiction will put pressure on transfer pricing risks in other jurisdictions.

As such, a holistic and balanced approach is required - as well as the exercise of sound professional judgment and expertise.

"RSM’s approach seeks to identify the optimal way to achieve these objectives, whilst ensuring an appropriate balance between managing transfer pricing risks and incurring costs to do so."

In light of this context, RSM's approach is to assist multinationals in establishing a transfer pricing policy that is ‘fit for purpose’, so the global value chain is remunerated appropriately and the support for this is appropriately documented. This has four key benefits:

  • Reducing or potentially eliminating the exposure to penalties from an adverse transfer pricing adjustment
  • Providing a basis upon which groups can demonstrate they have complied with accounting standards relating to ‘uncertain tax positions’, particularly IFRIC 23 and FIN48
  • Significantly reducing the internal work that would otherwise be required, in the event of tax authority audit if no documentation was available
  • Evidencing sound corporate governance

COVID-19 considerations

With specific regard to the impact of COVID-19, we are also equipped to advise clients as to how they can legitimately vary their intra-group arrangements in order to share the impact of any disruption in financial performance, and to facilitate the preservation of cash.

Our global Transfer Pricing capabilities include:

  • Conducting risk assessments of existing Transfer Pricing arrangements
  • Advising on different Operating Models and their effectiveness/appropriateness
  • Preparing Transfer Pricing policy frameworks
  • Transfer Pricing policy implementation support services, including cost allocation studies
  • Preparing Transfer Pricing documentation
  • Managing Country-by-Country Reporting compliance obligations
  • Preparing Business Restructuring ‘support files’ to substantiate restructurings
  • Reviewing legal agreements to ensure legal form aligns with economic substance, including cost sharing agreements
  • Assisting in seeking Advance Pricing Arrangements with tax authorities
  • Assisting in responding to tax authority reviews
Webinar: Transfer pricing

Key impacts of the OECD's new transfer pricing approach for distribution activities

Key impacts of the OECD's new transfer pricing approach for distribution activities

Join our global specialists for an in-depth discussion of the SSA and the impact we expect for in-scope businesses.

  • Background and context – the BEPS programme
  • Discussion of the detailed rules and qualifying conditions
  • Practical experiences so far of the calculations required to apply the SSA in practice
  • Key actions to consider for businesses which may be within the scope of the SSA
  • Q&A

Webinar: A practical approach to meeting the challenges of Pillar Two

In this session from 28 November 2023, Rachael Atkins (RSM Canada), Sarah Hall (RSM UK), Larry LeBlanc (RSM US) and Duncan Nott (RSM UK) share their experience of the key practical challenges of the new rules and what businesses should be doing to be prepared.

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