2. Case Study 1 - Traditional Transfer Pricing Methods

Slides:



Advertisements
Similar presentations
Seeing beyond the numbers... Increasing IC-DISC Revenue– Maximize the Export Tax Incentive Jonathan Lysenko May 20, 2009.
Advertisements

Navigating the Indian & Singapore waters!
Methods of determining ALP
Intercompany Sales of Inventory
Achieve financial growth CPAs & Consultants Current Trend of IRS Transfer Pricing Practices November 8, 2013.
PAVAN R. SOMANI B.Com, ACA, & Grad. CWA Hingoli 1 PAVAN SOMANI B.Com, ACA, & Grad. CWA HINGOLI.
4.03 Solve Related Mathematical Problems. Opening Cash Fund The opening cash drawer contains the coins and currency for the days business The till is.
Inventories: Measurement
Measuring the Economy’s Performance
Presented By: Hazwani Hanis Binti Mohamed
McGraw-Hill/Irwin Copyright © 2010 by The McGraw-Hill Companies, Inc. All rights reserved. Merchandising Activities Chapter 6.
Cost-Revenue Analysis for Decision Making
Presented By: Prof A Venter CA(SA). SESSION INCLUDES: TRANSACTIONAL PROFITS METHODS Selection of TP Methods: Part II Transactional Net Margin Method (TNMM.
ACCOUNTING FOR MERCHANDISING OPERATIONS
Accounting Principles
MERCHANDISING COMPANY
©The McGraw-Hill Companies, Inc. 2006McGraw-Hill/Irwin Chapter Five Accounting for Merchandising Businesses.
After studying this chapter, you should be able to: 1 identify the differences between a service enterprise and a merchandising company 2 explain the.
© The McGraw-Hill Companies, Inc., 2008 McGraw-Hill/Irwin 6-1 Merchandising Activities Chapter 6.
Previous Lecture Operating Cycle of a Merchandising Company Comparing Merchandising Activities with Manufacturing Activities Retailers and Wholesalers.
Content General rules, Related parties, Price paid or payable, Introduction to the transfer pricing.
Accounting for Merchandising Operations
1 Transfer Pricing Introduction. Introduction. OECD Model Convention. OECD Model Convention. Why is TP a problem. Why is TP a problem. Main methods. Main.
CHAPTER 15 International taxation. Contents  Introduction – Main types of taxation  Corporate income tax and dividends  Deferred taxation  International.
ACCOUNTING FOR MERCHANDISING OPERATIONS
Income Statement Net Sales - COGS = Gross Profit - Operating Expenses = Operating Income - Interest expenses & taxes = Net Income.
Transfer pricing PwC. 2 1.Background 2.Legislation 3.Transfer pricing methods 4.Transfer pricing documentation 5.Main issues of transfer pricing 6.PwC.
OECD Transfer Pricing Guidelines for Business Restructurings and Intangibles Martin Busenhart, Tax Partner 7th CIS Local Counsel Forum Yerevan, 8 June.
Transfer Pricing of a contract manufacturer Markus Volkmann Federal Central Tax Office Germany, Bonn Federal Audit Department OECD Transfer Pricing Case.
TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE 31 MARCH - 4 APRIL a. Transfer Pricing - Introduction 1 OECD freely authorises the use of this material.
5-c. Case Study - Overview of issues TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE 31 MARCH - 4 APRIL 2014 OECD freely authorises the use of this material.
TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE 31 MARCH - 4 APRIL c. Comparability 1 OECD freely authorises the use of this material for non-commercial.
The importance of Gross margin Example 1: Sales price ok, sales volume ok compared to the size of the company: Sales income100 units x
© 2012 Central Asian Tax Research Center Vladimir Tyutyuryukov Central Asian Tax Research Center 3 February 2012 Transfer Pricing Regulations in Customs.
5-b. Case Study - Cutting Edge Comparability Analysis and Method TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE 31 MARCH - 4 APRIL 2014 OECD freely authorises.
Reporting & Analyzing Merchandising Operations
T RANSFER P RICING IN K OREA November, 2005 Presenter : Songdong Kim The N ATIONAL T AX S ERVICE KOREA.
FINANCIAL ACCOUNTING Tools for Business Decision-Making KIMMEL  WEYGANDT  KIESO  TRENHOLM  IRVINE CHAPTER 5: Merchandising Operations.
McGraw-Hill/Irwin Copyright © 2006 by The McGraw-Hill Companies, Inc. All rights reserved. 6-1 Chapter Six: Merchandising Activities.
© The McGraw-Hill Companies, Inc., 2003 McGraw-Hill/Irwin Slide 6-1 MERCHANDISING ACTIVITIES Chapter 6.
A ccounting Principles, 6e Weygandt, Kieso, & Kimmel Prepared by Marianne Bradford, Ph. D. Bryant College John Wiley & Sons, Inc.
WEYGANDT. KIESO. KIMMEL. TRENHOLM. KINNEAR. BARLOW. ATKINS PRINCIPLES OF FINANCIAL ACCOUNTING CANADIAN EDITION Chapter 5 Accounting for Merchandising Operations.
INTERNATIONAL AND DOMESTIC TRANSFER PRICING. HISTORY  Chapter X of the Income Tax Act, 1961 was amended by the Finance Act, 2001 for introducing the.
The A – Brand Value contribution to a brand by the licensee – background information Markus Volkmann Federal Central Tax Office / Federal Audit Department.
CURRENT TRANSFER PRICING SITUATION IN ARGENTINA Mexico D.F., December 1, 1999.
© The McGraw-Hill Companies, Inc., 2002 McGraw-Hill/Irwin ACCOUNTING FOR MERCHANDISING ACTIVITIES Chapter 6.
Irwin/McGraw-Hill 1 Accounting for Merchandising Activities.
Do Now Activity: Answer the following questions:- 1.What is Profit? 2.What is Cost of Sales? 3.What is an Expense?
TRANSFER PRICING Vetoquinol SA TRANSFER PRICING Vetoquinol SA Experiential Case PREPARED BY: Group 2.
ACCOUNTING FOR MERCHANDISING ACTIVITIES Lecture 6.
Transfer Pricing Ensuring the right cost in a multi division company.
Centre for Tax Policy and Administration Case Study on Profit Split / Intangibles Workshop on Transfer Pricing and Exchange of Information Guatemala 2.
Centre for Tax Policy and Administration Organisation for Economic Co-operation and Development Workshop on Transfer Pricing and Exchange of Information.
Annual Conference of Russian Tax Advisors Moscow, 22 April 2010 Tentative Comparison of Russia’s Draft New Transfer Pricing Legislation with the Revised.
Organisation for Economic Co-operation and Development Transfer Pricing Seminar São Paulo, Brazil November 2009 Case Studies on Transfer Pricing.
Centre for Tax Policy and Administration Organisation for Economic Co-operation and Development Auditing Multinational Enterprises 6. Transfer pricing.
Centre for Tax Policy and Administration Organisation for Economic Co-operation and Development Auditing Multinational Enterprises 7 - Cutting Edge Comparability.
Centre for Tax Policy and Administration Workshop on Transfer Pricing and Exchange of Information Guatemala 2 – 5 May 2011 Wolfgang Büttner OECD Use of.
Organisation for Economic Co-operation and Development Transfer Pricing Seminar São Paulo, Brazil November 2009 Suggested Answers/Solutions to the.
Inventories: Measurement (Part 1)
Chapter 5: ACCOUNTING FOR MERCHANDISING OPERATIONS
1. The Gardner Pharmacy uses the periodic inventory method
TRADING AND PROFIT AND LOSS ACCOUNT: AN INTRODUCTION
Understanding Accounting and Financial Information
ACCOUNTING FOR PURCHASES AND CASH PAYMENTS
TRANSFER PRICING.
Prepared by: Keri Norrie, Camosun College
INVENTORY and COST of GOODS SOLD
Certified General Accountants
Presentation transcript:

2. Case Study 1 - Traditional Transfer Pricing Methods TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE 31 MARCH - 4 APRIL 2014 2. Case Study 1 - Traditional Transfer Pricing Methods 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 rights@oecd.org. 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.

Associated Wholesaler Costa Rica Independent Champagne Producer Facts of the Case (controlled) transaction Transfer Price? Associated Wholesaler Costa Rica Champagne Producer France 12.50 EUR Retailer Costa Rica (uncontrolled) transaction Sales Price 6 EUR Independent Champagne Producer France Independent Wholesaler Costa Rica 15 EUR Retailer Costa Rica The associated wholesaler (subsidiary) incurs transportation costs of 1.50 EUR. The independent wholesaler incurs no transportation costs. External Comparable

Questions Which factors should be taken into account in determining the arm’s length transfer price for one bottle of champagne sold by the French producer to its associated Costa Rican subsidiary? Which company should be selected as tested party and why? What transfer pricing method is the most appropriate method to the circumstances of this case and why? What is the arm’s length transfer price per bottle of champagne sold by the French producer (parent company) to its associated Costa Rican subsidiary?

Multinational Enterprise Group RESALE PRICE METHOD Tested Party Transfer Price Sales Price to Third Party Third Party Customer Manufacturer Distributor Multinational Enterprise Group Sales Price to 3rd Party - Gross Profit Margin Transfer Price Calculate gross margin for distributor/reseller Easiest to apply if reseller does not add substantially to value of product 12

RESALE PRICE METHOD P&L Account Sales Costs of Goods Sold Gross Profit Operating Expenses Net Operating Income Gross profit level indicator Looks at gross profit relative to sales

RESALE PRICE METHOD Sales Price Calculation of Arm’s length price (ALP): ALP = Resale Price - (Resale Price Margin x Resale Price) Resale Price Margin = Sales Price - Purchase Price Sales Price 14

Determined from comparable companies RESALE PRICE METHOD Determined from comparable companies Sale Price to Third Parties $ 100 Resale Price margin 20% Arm’s length price = $ 100 - (20% x $100) = $ 80 15

Example (controlled) transaction Transfer Price? Associated Wholesaler Costa Rica 12.50 € Retailer Costa Rica Champagne Producer France (uncontrolled) transaction Sales Price 6 EUR Independent Champagne Producer France Independent Wholesaler Costa Rica 15 € Retailer Costa Rica The associated wholesaler incurs transportation costs of 1.50 €. The independent wholesaler incurs no transportation costs. External Comparable

Example Solution Retail price charged by independent wholesaler 15.00 100% Purchase price paid by independent wholesaler - 6.00 - 40% Gross profit / margin of the independent wholesaler 9.00 60% Retail price charged by independent wholesaler 15.00 100% Purchase price paid by independent wholesaler - 6.00 - 40% Adjustment for CIF – FOB12% of sales price +1.80 +12% Gross profit / margin of the independent wholesaler 10.80 72%

Calculating the AL price Example Calculating the AL price Retail price charged by dependent wholesaler 12.50 100% Purchase price paid by dependent wholesaler TP ??? Gross profit / margin of the dependent wholesaler Retail price charged by dependent wholesaler 12.50 100% Purchase price paid by dependent wholesaler 3.50 - 28% Gross profit / margin of the dependent wholesaler 9.00 72%

Questions and/or comments?