November 18, 2014 | Best Buy | Richfield, MN Your Trusted Tax Counsel ® Baker & McKenzie International is a Swiss Verein with member law firms around the.

Slides:



Advertisements
Similar presentations
Chapter Fourteen Partnerships: Formation and Operation McGraw-Hill/Irwin Copyright © 2011 by The McGraw-Hill Companies, Inc. All rights reserved.
Advertisements

AN OVERVIEW OF IP ASSET VALUATION
Managing Intellectual Property Assets in International Business Anil Sinha, Counsellor, SMEs Division World Intellectual Property Organization (WIPO)
International Transfer Pricing
LICENSING “One Way of Putting Your I.P. to Work for Your Organization” Inventing and Patenting Seminar May 16, 2001.
Capital Markets.
Stock Ownership Less Than 100%
TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE 31 MARCH - 4 APRIL b. Intangibles - Advanced OECD freely authorises the use of this material for.
Page 1 Business income and associated enterprise Prashant Khatore.
Performing a Fiduciary Review of Trust Administration FIRMA April 2009 Independent Fiduciary Services ® Independent Fiduciary Services, Inc.  th.
March 17, 2011 Kalamazoo, MI Your Trusted Tax Counsel ® Baker & McKenzie International is a Swiss Verein with member law firms around the world. In accordance.
Revise lecture 31.
Chapter 8 Interests In Joint Ventures © 2009 Clarence Byrd Inc. 2 Joint Venture Defined  Paragraph (c) A joint venture is an economic activity.
Business Continuation Using Life Insurance to Help Ensure the Continuation of Your Business INDIVIDUAL LIFE INSURANCE NOT INSURED BY FDIC OR ANY FEDERAL.
Introduction to Finance Department of Finance and Operations Management Instructor :Martha Edith Bellini Pg. 1 INDEX 1. Finance Overview. 2. Defining Finance.
Baker & McKenzie International is a Swiss Verein with member law firms around the world. In accordance with the common terminology used in professional.
Export Marketing and Strategy Section II. Setting Up the Business.
“I Will Return!!” (not GEN MacArthur) A Charter Class member returns to speak on PE Valuation Bruce B. Bingham, FASA, FRICS 23 September 2013.
OECD Transfer Pricing Guidelines for Business Restructurings and Intangibles Martin Busenhart, Tax Partner 7th CIS Local Counsel Forum Yerevan, 8 June.
What is Commercialization of IP Josiah Hernandez.
Richard M. Franklin Chicago, Illinois Baker & McKenzie International is a Swiss Verein with member law firms around the world. In accordance with the common.
Chapter 9 Forming and Operating Partnerships Copyright © 2013 by The McGraw-Hill Companies, Inc. All rights reserved. McGraw-Hill/Irwin.
McGraw-Hill/Irwin Copyright © 2007 by The McGraw-Hill Companies, Inc. All rights reserved. Chapter 11 International Transfer Pricing.
TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE 31 MARCH - 4 APRIL a. Transfer Pricing - Introduction 1 OECD freely authorises the use of this material.
The Multinational Corporation and Globalization
1 Attribution of Profits to Permanent Establishments -Recent Developments- Xiamen University – 18 February 2011 Josine van Wanrooij.
Four tips to mitigate Mobile fraud in the future.
Baker & McKenzie International is a Swiss Verein with member law firms around the world. In accordance with the common terminology used in professional.
Chapter 25 - SMALL AND MEDIUM-SIZED ENTITIES
RECENT TRANSFER PRICING AMENDMENTS IFA CONFERENCE, MUMBAI
Transfer Pricing – Risk and Opportunities David Slemmer, CohnReznick New York, New York June 6, 2014.
McGraw-Hill/Irwin Copyright © 2005 by The McGraw-Hill Companies, Inc. All rights reserved. Chapter 10 Additional Consolidation Reporting Issues.
Federal Lab Consortium Regional Meeting Valuation of Intellectual Property Judy A. Byrd Mark J. Chandler September 21, 2006.
Subsidiary of Olsen Thielen & Co., Ltd. CPA Valuation De-mystified John Gurley Randy Schostag.
Attribution of Profits to Permanent Establishments Robin Saunders, Global Transfer Pricing Services, KPMG in the UK 25 January 2008 TRANSFER PRICING TAX.
Gary D. Sprague January 24-25, 2008 Mumbai, India Baker & McKenzie International is a Swiss Verein with member law firms around the world. In accordance.
Accounting for Intangible Assets
Investments in Associates: IAS 28
Online banking security best practices Access via ‘transaction devices’
Chapter 11 Passive Activity Losses Copyright ©2005 South-Western/Thomson Learning Eugene Willis, William H. Hoffman, Jr., David M. Maloney, and William.
GLOBAL SERVICE/ INDUSTRY AUDIT / TAX / ADVISORY / LINE OF BUSINESS Current Topics in Global Trade Management John Patrick O’Shea Senior Manager Trade and.
1 Chapter 33 International business Copyright © Nelson Australia Pty Ltd 2003.
Chapter 11 Passive Activity Losses Copyright ©2006 South-Western/Thomson Learning Individual Income Taxes.
Valuation Consulting The Hop Exchange, 24 Southwark Street, London, SE1 1TY Tel: Fax:
Saturday December 5, 2015 Session – 16.00
Advanced Dispute Resolution Workshop TP Minds Africa 23 November 2015 Presented by: Dr. DN Erasmus & Prof A Venter.
Baker & McKenzie LLP is a member firm of Baker & McKenzie International, a Swiss Verein with member law firms around the world. In accordance with the.
Accounting (Basics) - Lecture 5 Impairment of assets.
National Life Insurance Company ® | Life Insurance Company of the Southwest ® National Life Group is a trade name of National Life Insurance Company, Montpelier,
McGraw-Hill/Irwin Copyright (c) 2002 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 11 Chapter 11 Dispositions of.
International Business Environments & Operations
Centre for Tax Policy and Administration Case Study on Profit Split / Intangibles Workshop on Transfer Pricing and Exchange of Information Guatemala 2.
1 Transfer Pricing Workshop Cairo February 2010 Identifying Intangibles Legal vs. Economic Ownership.
Accounting for Intangible Assets 1 Rangajewa Herath B.Sc. Accountancy and Financial Management(Sp.)(USJ) MBA-PIM(USJ)
11 revision of basic groups. CopyRight 2013 By 周冬华 博士 CPA Some definitions  Subsidiary - an entity which is controlled by another entity (the parent)
Forms and Ownership of Foreign Production
Winston & Strawn LLP © 2009 CHARLOTTE CHICAGO GENEVA HONG KONG LONDON LOS ANGELES MOSCOW NEW YORK NEWARK PARIS SAN FRANCISCO WASHINGTON, D.C. Renewable.
Centre for Tax Policy and Administration Organisation for Economic Co-operation and Development Auditing Multinational Enterprises 3 Taxation of Multinational.
Phoenix FamilyShield Annuity SM A Single Premium Immediate Annuity designed for Medicaid planning For Producer training purposes only. Not for use with.
McGraw-Hill/Irwin Copyright (c) 2003 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 11 Dispositions of Equity Interests.
Transfer pricing of intangibles Valuation. Content ●Background ●Valuation methods ○Income Based ○Market Based ○Cost Based ●Changes in new BEPS.
Accounting (Basics) - Lecture 5 Impairment of assets
Chapter 5 Introduction to Business Expenses Murphy & Higgins
Introduction to Business Expenses
Forming and Operating Partnerships
Chapter Six Intercompany Debt, Consolidated Statement of Cash Flows and Other Issues McGraw-Hill/Irwin Copyright © 2009 by The McGraw-Hill Companies, Inc.
Chapter Six Variable Interest Entities, Intercompany Debt, and Other Consolidation Issues.
Forming and Operating Partnerships
Tuck School of Business
5.1 Forms of Business Ownership
Presentation transcript:

November 18, 2014 | Best Buy | Richfield, MN Your Trusted Tax Counsel ® Baker & McKenzie International is a Swiss Verein with member law firms around the world. In accordance with the common terminology used in professional service organizations, reference within the organization to a “partner” means a person who is a partner, or equivalent, in a member firm or its affiliate. Similarly, reference to an “office” means an office of any such law firm. Baker & McKenzie Consulting LLC provides tax advisory and economic services and does not provide legal advice or services. Baker & McKenzie Consulting LLC is a subsidiary of Baker & McKenzie LLP, a member firm of Baker & McKenzie International. Minnesota Chapter – TEI International Tax Committee Intangibles: Evolving and Conflicting Definitions and Valuation Techniques Lisa Parker Gates (Chicago) Holly Glenn (Washington, D.C.) Russ Young (Chicago)

©2014 Baker & McKenzie 2 Presenters Lisa Parker Gates (Partner – IP, Chicago) Holly E. Glenn (Principal Economist, Washington, D.C.) Russell R. Young (Partner – Tax, Chicago)

©2014 Baker & McKenzie 3 Agenda Introduction and Background Intangibles Under U.S. Tax Law Intangibles Under I.P. Law OECD Intangibles Guidance Issues Raised

Intangibles Under U.S. Tax Law

©2014 Baker & McKenzie 5 Definition of Intangible Property: §936(h)(3)(B) & Treas. Reg. § (b) –Both definitions are substantially similar and define IP as: –patent, invention, formula, process, design, pattern, know-how; –copyright, literary, musical, or artistic composition; –trademark, trade name, or brand name; –franchise, license, or contract; –method, program, system, procedure, campaign, survey, study, forecast, estimate, customer list, or technical data; or –any similar item, which has substantial value independent of the services of any individual –“Any similar item” is clarified only under the §482 regs as an item that derives its value not from its physical attributes but from its intellectual content or other intangible properties

©2014 Baker & McKenzie 6 What Is Not Compensable Intangible Property? –Under US rules, unless the transferred property falls within the intangibles definition, no royalty or other compensation required under the rules. What’s not compensable as IP under current law: –Business opportunity. Hospital Corp. of America, 81 T.C. 520 (1984) –Advantage resulting from operating within an affiliated group. Merck –Goodwill or going concern value (“GW/GCV”). VERITAS, 133 T.C. 297 (2009) –Workforce in place. VERITAS; Newark Morning Ledger, 507 U.S. 546 (1993) –Most other jurisdictions & OECD rules do not provide a list of what is an intangible –“Non-compensable” is a largely US concept

©2014 Baker & McKenzie 7 –Exempted from royalty imputation (Treas. Reg. §1.367(d)-1T(b)) –Definition: “the residual value of a business operation conducted outside the US after all other tangible and intangibles assets have been identified and valued” –§367(d) targets abuse of taking R&D deductions by a US taxpayer in creating the IP without recognizing any income attributable to such IP before outbound transfer (e.g., Darvon in Eli Lilly) –GW/GCV presumed to be attributable to a branch’s earning income on which US taxpayer would have paid US income tax –Again, this level of specificity is unique to the US rules Foreign Goodwill/Going Concern Value

©2014 Baker & McKenzie 8 –Disputes frequently accompany items that are difficult to identify and value: –Know-how –Systems, processes, and procedures –Skilled workforce –Marketing intangibles –Other similar items –These items may typically fall under GW/GCV in a business valuation Valuation Methods

©2014 Baker & McKenzie 9 Standards of Value –What standard of value is appropriate? –Fair market value –Investment (Strategic) value –Fair value –Intrinsic value –Arm’s length charge

Intangibles Under I.P. Law

INSTRUCTIONS How to apply a Slide Layout Go to the Home tab and select New Slide to choose from a variety of formatted B&M slide layouts Tip: choose Layout to reapply a layout to a selected slide(s) How to apply slide text styles Use the Decrease List Level and Increase List Level icons on the Home tab to apply the required text style Tip: use the Reset option from the Home tab to restore template text styles to a slide How to update footer and slide numbers Go to the Insert tab and select Header & Footer. Select Apply to All once update has been made ©2014 Baker & McKenzie 11 IP and Tax Perspectives – The Same, But Different ‒ Minimum IP value vs. maximized value ‒ Economic/beneficial ownership vs. legal title/ownership ‒ Multiple beneficial owners vs. multiple legal owners ‒ Goodwill: Can it be separated from IP? ‒ Tax treaties and IP treaties 11

INSTRUCTIONS How to apply a Slide Layout Go to the Home tab and select New Slide to choose from a variety of formatted B&M slide layouts Tip: choose Layout to reapply a layout to a selected slide(s) How to apply slide text styles Use the Decrease List Level and Increase List Level icons on the Home tab to apply the required text style Tip: use the Reset option from the Home tab to restore template text styles to a slide How to update footer and slide numbers Go to the Insert tab and select Header & Footer. Select Apply to All once update has been made ©2014 Baker & McKenzie 12 Use of IP and Intangible Assets ‒ Intercompany licenses should be in place, from “legal” owner to “beneficial” user ‒ Exclusive licenses allow for lost profits (nonexclusive for reasonable royalty) ‒ “Co-exclusive” and “joint exclusive” licenses ‒ Quality control ‒ IP maintenance and renewal responsibilities 12

OECD Intangibles Guidance

INSTRUCTIONS How to apply a Slide Layout Go to the Home tab and select New Slide to choose from a variety of formatted B&M slide layouts Tip: choose Layout to reapply a layout to a selected slide(s) How to apply slide text styles Use the Decrease List Level and Increase List Level icons on the Home tab to apply the required text style Tip: use the Reset option from the Home tab to restore template text styles to a slide How to update footer and slide numbers Go to the Insert tab and select Header & Footer. Select Apply to All once update has been made ©2014 Baker & McKenzie 14 The September 2014 Release ‒ New Chapter VI of the OECD Transfer Pricing Guidelines (“TPG”) ‒ Amendments to Chapters I-II ‒ Unfinished business  Shaded portions of Chapter VI are not yet fully agreed  “Special measures” to be considered in 2015 ‒ 33 examples (20 agreed, 13 to be reviewed in 2015) 14

INSTRUCTIONS How to apply a Slide Layout Go to the Home tab and select New Slide to choose from a variety of formatted B&M slide layouts Tip: choose Layout to reapply a layout to a selected slide(s) How to apply slide text styles Use the Decrease List Level and Increase List Level icons on the Home tab to apply the required text style Tip: use the Reset option from the Home tab to restore template text styles to a slide How to update footer and slide numbers Go to the Insert tab and select Header & Footer. Select Apply to All once update has been made ©2014 Baker & McKenzie 15 New OECD Definition of Intangibles “Something which is not a physical asset or a financial asset, which is capable of being owned or controlled for use in commercial activities, and whose use or transfer would be compensated had it occurred in a transaction between independent parties in comparable circumstances.” The OECD wanted to avoid making a list, because they have seen the outcome in the US, which is to exempt certain intangibles from compensation. They wanted a definition broad enough to encompass “goodwill,” whatever it means. They did not accept input suggesting IP be limited to what can be legally owned or protected.

INSTRUCTIONS How to apply a Slide Layout Go to the Home tab and select New Slide to choose from a variety of formatted B&M slide layouts Tip: choose Layout to reapply a layout to a selected slide(s) How to apply slide text styles Use the Decrease List Level and Increase List Level icons on the Home tab to apply the required text style Tip: use the Reset option from the Home tab to restore template text styles to a slide How to update footer and slide numbers Go to the Insert tab and select Header & Footer. Select Apply to All once update has been made ©2014 Baker & McKenzie 16 Amendments to Chapters I-II of the TPG ‒ Location savings : a comparability factor ‒ Synergies may require comparability adjustments  “Deliberate concerted group actions” are chargeable  Example on guarantees  “Halo effect”  Central purchasing function. ‒ Assembled workforce in business restructurings

INSTRUCTIONS How to apply a Slide Layout Go to the Home tab and select New Slide to choose from a variety of formatted B&M slide layouts Tip: choose Layout to reapply a layout to a selected slide(s) How to apply slide text styles Use the Decrease List Level and Increase List Level icons on the Home tab to apply the required text style Tip: use the Reset option from the Home tab to restore template text styles to a slide How to update footer and slide numbers Go to the Insert tab and select Header & Footer. Select Apply to All once update has been made ©2014 Baker & McKenzie 17 Goodwill / Ongoing Concern Value Not defined, but “important and monetarily significant part of the compensation” in asset transfers Purchase Price Allocation residual not necessarily appropriate measure Controversial issues:  What is goodwill?  To whom does it belong?  Is it transferable?  How is it measured?

INSTRUCTIONS How to apply a Slide Layout Go to the Home tab and select New Slide to choose from a variety of formatted B&M slide layouts Tip: choose Layout to reapply a layout to a selected slide(s) How to apply slide text styles Use the Decrease List Level and Increase List Level icons on the Home tab to apply the required text style Tip: use the Reset option from the Home tab to restore template text styles to a slide How to update footer and slide numbers Go to the Insert tab and select Header & Footer. Select Apply to All once update has been made ©2014 Baker & McKenzie 18 Policy Concern Parent IP co Market Co High tax; original IP development Low tax; intragroup acquisition of IP High tax; IP exploitation R&D High tax; further IP development Issues:  Arm’s length remuneration of R&D, marketing and sales functions?  Arm’s length remuneration of IP ownership/funding/risk bearing?

INSTRUCTIONS How to apply a Slide Layout Go to the Home tab and select New Slide to choose from a variety of formatted B&M slide layouts Tip: choose Layout to reapply a layout to a selected slide(s) How to apply slide text styles Use the Decrease List Level and Increase List Level icons on the Home tab to apply the required text style Tip: use the Reset option from the Home tab to restore template text styles to a slide How to update footer and slide numbers Go to the Insert tab and select Header & Footer. Select Apply to All once update has been made ©2014 Baker & McKenzie 19 OECD Valuation Methods ‒ Ch. VI includes the use of appraisal/valuation methods largely based on the use of discounted cash flows (DCF)  Purchase price allocations or valuations for accounting purposes may be a “useful starting point,” but are not controlling for TP purposes

INSTRUCTIONS How to apply a Slide Layout Go to the Home tab and select New Slide to choose from a variety of formatted B&M slide layouts Tip: choose Layout to reapply a layout to a selected slide(s) How to apply slide text styles Use the Decrease List Level and Increase List Level icons on the Home tab to apply the required text style Tip: use the Reset option from the Home tab to restore template text styles to a slide How to update footer and slide numbers Go to the Insert tab and select Header & Footer. Select Apply to All once update has been made ©2014 Baker & McKenzie 20 Unagreed Portions of Chapter VI ‒ Ownership of intangibles: profits of IP owner / role of contracts / funding / risk versus people functions (Sections B.1 and B.2) (Legal ownership and contractual arrangements are the “starting point” for TP analysis) ‒ Interaction with work on risk and recharacterisation “particularly pronounced”

INSTRUCTIONS How to apply a Slide Layout Go to the Home tab and select New Slide to choose from a variety of formatted B&M slide layouts Tip: choose Layout to reapply a layout to a selected slide(s) How to apply slide text styles Use the Decrease List Level and Increase List Level icons on the Home tab to apply the required text style Tip: use the Reset option from the Home tab to restore template text styles to a slide How to update footer and slide numbers Go to the Insert tab and select Header & Footer. Select Apply to All once update has been made ©2014 Baker & McKenzie 21 Special Measures to be Considered in 2015 ‒ Providing tax administrations with authority in appropriate instances to apply rules based on actual results to price transfers of hard to value intangibles and potentially other assets  “Look-back” rules ‒ Requiring contingent payment terms and/or the application of profit split methods for certain transfers of hard to value intangibles

INSTRUCTIONS How to apply a Slide Layout Go to the Home tab and select New Slide to choose from a variety of formatted B&M slide layouts Tip: choose Layout to reapply a layout to a selected slide(s) How to apply slide text styles Use the Decrease List Level and Increase List Level icons on the Home tab to apply the required text style Tip: use the Reset option from the Home tab to restore template text styles to a slide How to update footer and slide numbers Go to the Insert tab and select Header & Footer. Select Apply to All once update has been made ©2014 Baker & McKenzie 22 Special Measures to be Considered in 2015 ‒ Limiting the return to entities whose activities are limited to providing funding for the development of intangibles, and potentially other activities, for example by treating such entities as lenders rather than equity investors under some circumstances  Like the “income method” in US cost-sharing ‒ Requiring application of rules analogous to those applied under Article 7 and the Authorised OECD Approach to certain situations involving excessive capitalisation of low function entities  “Fat cap” rules

INSTRUCTIONS How to apply a Slide Layout Go to the Home tab and select New Slide to choose from a variety of formatted B&M slide layouts Tip: choose Layout to reapply a layout to a selected slide(s) How to apply slide text styles Use the Decrease List Level and Increase List Level icons on the Home tab to apply the required text style Tip: use the Reset option from the Home tab to restore template text styles to a slide How to update footer and slide numbers Go to the Insert tab and select Header & Footer. Select Apply to All once update has been made ©2014 Baker & McKenzie 23 Valuation of intangibles New Chapter VI : Valuation techniques : DCF “yes, but…”. Shaded portions not yet agreed, to be finalized in 2015: –Intangibles whose valuation is uncertain at the time of the transaction (Section D.3.) –Use of “other methods” (TPG 2.9) –Application of profit split methods (TPG to 6.149)

Issues Raised

INSTRUCTIONS How to apply a Slide Layout Go to the Home tab and select New Slide to choose from a variety of formatted B&M slide layouts Tip: choose Layout to reapply a layout to a selected slide(s) How to apply slide text styles Use the Decrease List Level and Increase List Level icons on the Home tab to apply the required text style Tip: use the Reset option from the Home tab to restore template text styles to a slide How to update footer and slide numbers Go to the Insert tab and select Header & Footer. Select Apply to All once update has been made ©2014 Baker & McKenzie 25 Issues Raised ‒ OECD wants to avoid the US situation in which taxpayers have a legal basis to argue that GW/GCV, along with certain other IP, is exempted from compensation when transferred  IRS likes OECD position, but how can the current US rules be reconciled? ‒ OECD has embraced the IRS notion of “platform intangibles” that may underlie next-generation IP and be entitled to compensation ‒ Key issue is what profit is attributed to legal or economic ownership (ownership or funding of IP without major strategic functions)  Tide has turned against allowing the legal and/or economic owner to earn the residual  Fundamental challenge to “one-sided methods” that set the profit of “simpler” entities

©2014 Baker & McKenzie 26 Thank You Pursuant to requirements relating to practice before the Internal Revenue Service, any tax advice in this communication (including any attachments) is not intended to be used, and cannot be used, for the purpose of (i) avoiding penalties imposed under the United States Internal Revenue Code, or (ii) promoting, marketing, or recommending to another person any tax-related matter.