Introduction
This course co-developed with the OECD aims to explain the stakes and problems of transfer pricing on both tax and customs points of view. This course was updated in 2015 thanks to the financial support of the Ministry of Strategy and Finance.
Course Objectives of Transfer Pricing
- Separate Entity Approach
- Stakes for the MNE
- Customs Duty
- Model Tax Convention
- Associated Enterprises
- Administrative and Practical Aspects
- Procedural Aspects
- Transfer Pricing Methods
- Traditional Transaction Methods and Transactional Profit Methods
- Comparable Uncontrolled Price
- Resale Price Method
- Cost Plus Method
- Transactional Net Margin Method
- Profit Split Method
Course outlines - Transfer Pricing
Day 1
Introduction to Transfer Pricing
- What is transfer pricing?
- Why is it important?
The Legal Framework
- The international tax environment
- The arm’s length principle
- Domestic transfer pricing rules
- The role of tax treaties
- The OECD Transfer Pricing Guidelines
Day 2
Comparability
- The Arm’s Length Principle and Comparability
- Comparability Factors
- Comparability Adjustments
Day 3
Transfer pricing methods
- CUP method
- Resale price method
- Cost plus method
- Transaction net margin method
- Profit split method Other methods
Day 4
Transfer pricing adjustments
- Compensating adjustments
- Primary adjustments
- Corresponding adjustments
- Secondary adjustments
- Repatriation
Day 5
Transfer Pricing dispute avoidance and resolution
- Advance Pricing Agreement s
- Domestic mechanisms
- Mutual Agreement Procedure
- Arbitration (Art. 25(5) OECD MTC)
- European Arbitration Convention
Credits: 5 credit per day
Course Mode: full-time
Provider: Blackbird Training Centre