The New China Country Practice Chapter of the UN Practical Manual on Transfer Pricing : Reflections on Post-BEPS Transfer Pricing in the Middle-Kingdom


Book Description

In this article, the authors critically analyse the China Country Practice Chapter inserted into the United Nations Practical Manual on Transfer Pricing for Developing Countries in 2016. They present a critique of the major transfer pricing challenges facing China and the purported solutions to them. In this context, the article gives an overview of the strategies and practice developments of China's State Administration of Taxation, addressing conceptual gaps and linking the tax administration's policy statements to its enforcement practice.




Transfer Pricing


Book Description

Any contemporary Chinese transfer pricing assessment needs to consider the United Nation (UN) Practical Manual on Transfer Pricing for Developing Countries released in May 2013. In particular, Chapter 10 discusses Country Practices and presents China's most up to date transfer pricing policy statement. China is not an Organization for Economic Cooperation and Development (OECD) member nor has it formally adopted the OECD's Transfer Pricing Guidelines for Multinational Enterprises and Tax Administrations. Chapter 10 makes it very clear that China is charting a different transfer pricing course in at least nine important areas. China believes that: 1. significant comparability adjustments are needed when comparable sets are drawn from developed countries; 2. the transactional net margin (TNMM) is considered overused and inaccurate; 3. location savings must be reflected in the costs; 4. toll manufacturers will be converted into contract manufacturers; 5. limited risk distributor status is denied for brand building distributors; 6. market premiums must be reflected in Chinese profits; 7. tax haven based IP ownership can be “looked through” or denied; 8. cost-plus methodology is rejected for “high and new technology status” (HNTS) entities; 9. royalty adjustments over time are necessary.The Chinese approach to transfer pricing or at least the approach presented in the Practical Manual uses familiar OECD terminology but it places a very different emphasis on some basic concepts in the OECD Guidelines. Thus, the Chinese market economics strengthens the State Administration of Taxation's hand and encourages more forceful transfer pricing policies. This is the case even though these policies diverge from OECD norms. This paper considers the nine major areas where the Chinese position in the UN Practical Manual differs from positions in the OECD Guidelines.




United Nations Practical Manual on Transfer Pricing for Developing Countries 2017


Book Description

The Manual is a response to the need, often expressed by developing countries, for clearer guidance on the policy and administrative aspects of applying transfer pricing (profit shifting) analysis to some of the transactions of multinational enterprises (MNEs) in particular.




United Nations Practical Manual on Transfer Pricing 2021


Book Description

The Manual is a response to the need, often expressed by developing countries, for clearer guidance on the policy and administrative aspects of applying transfer pricing (profit shifting) analysis to some of the transactions of multinational enterprises (MNEs) in particular.




Transfer Pricing


Book Description

The UN Practical Manual on Transfer Pricing for Developing Countries endeavors to provide “clearer guidance on the policy and administrative aspects of applying transfer pricing analysis.” Chapter 10 is particularly noteworthy. It sets out specific country practices. The rules in Brazil, China, India and South Africa are offered as templates for developing countries to follow. This article considers the Brazilian contribution to Chapter 10. Although some writers believe that developing countries should adopt the Brazilian model this article suggests otherwise. Even though it is a theoretically simple system, some aspects of the Brazilian model consistently work to the fiscal disadvantage of the country adopting it. As a general matter, this is not a transfer pricing regime that should be widely emulated by developing countries.In particular, developing countries that offer low cost manufacturing opportunities to MNEs and those that offer market access to an expanding middle class may be disappointed to learn that the Brazilian transfer pricing regime systematically shifts income out of the country. The problem is mainly with the import rules.




Transfer Pricing in China


Book Description

This Guide is a detailed overview of all aspects of transfer pricing in China. Produced in association with Transfer Pricing Associates, a specialist global transfer pricing firm, this is an essential work for any businessman trading with or conducting business in China. The book deals with all aspects of transfer pricing from a practical perspective, from designing and implementing a transfer pricing system, to managing China compliance and preparing for an audit.




The 2017 Update of the United Nations Practical Manual on Transfer Pricing for Developing Countries


Book Description

The United Nations (UN) Subcommittee on Article 9 (Associated Enterprises) - Transfer Pricing ("Subcommittee") has recently worked on an update of the UN Practical Manual on Transfer Pricing for Developing Countries ("Manual"), which was officially presented on 7 April 2017, at the UN Economic and Social Council (ECOSOC) meeting in New York. The work on the update of the first edition of the Manual, which was released in 2013, started at the 11th session of the UN Committee of Experts on International Cooperation in Tax Matters ("Committee") in Geneva on 19-23 October 2015. After that session, the Subcommittee met three times in order to discuss the updates to the Manual before presenting them at the 12th session of the Committee in Geneva on 11-14 October 2016.




Transfer Pricing in China


Book Description

This book offers up to date insights into the exciting world of China’s extensive economic activity through the pervasive and often secretive practice of transfer pricing. It begins with an explanation of transfer pricing itself and goes on to explore how intricately it can infiltrate the trading practices of the commercial lives of both foreign companies in China and Chinese companies expanding to other countries. A review of the main industries in China also considers their possible future uncertainties. China has joined other authorities in actively legislating and organizing a regime to implement its arm’s length policy, as related in Part I of the book on concepts and controls. This is then followed by Part 2 which is devoted to a collection of cases showing the breadth and variability of companies actively seeking to maximise their profits, while Part 3 of the book gives a rare record of the order of priorities exercised by one hundred Chinese tax officers engaged in auditing company performance. The book ends with a summary of the future trends, and activities that regulatory authorities are likely to undertake.







International Transfer Pricing in China


Book Description

In a multinational setting, knowledge of transfer pricing is essential to determine charges between segments of a business and to maximise global after-tax profits. This specialist book, extensively researched by the authors, provides comprehensive coverage of transfer pricing in China,including the provision of technical and management services, transfer of proprietary technology and inter-affiliate financing.