Inland Revenue have high expectations in relation to transfer pricing and evidencing that transactions have been undertaken at arm’s length. Even diligent taxpayers could get tripped up by underestimating the level of work or support required. In recent years, we have seen an increasing level of focus from Inland Revenue on taxpayers’ cross border related party transactions. Neglecting your business’s transfer pricing policies and documentation carries significant risk.
Inland Revenue’s powers to investigate and adjust/reassess transfer prices have been enhanced. In addition to the burden of proof now being on the taxpayer to evidence transactions have been undertaken at arm’s length, Inland Revenue’s powers include:
These powers mean a greater ability to scrutinise taxpayers’ transfer pricing matters either individually, or at an aggregate level for policy development or targeted enforcement campaigns.
Another significant change to the legislative landscape is the adoption of the OECD Transfers Pricing Guidelines into domestic legislation, meaning a greater focus on economic analysis. For example, applying economic analysis of the cross border related party transactions to price the transactions based on the substance/actual conduct over just the legal form, where these differ.
Questionnaire |
Comment/focus |
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Basic Compliance Package |
Involves the provision of Group structure, financial statements and tax calculation. This will subject to a closer specialist review compared to the tax return. |
International Questionnaire |
This is a generalist questionnaire aimed at capturing financial, thin capitalisation and transfer pricing information and feeds into Inland Revenues risk assessments. |
Loss Makers Questionnaire |
Focuses on transfer pricing policies of entities in sustained loss positions. |
Distributors Questionnaire |
Focuses on transfer pricing policies of distributor and wholesaler entities. |
Financing Questionnaire |
Focuses on transfer pricing policies in relation to financing transactions in multinational groups. This questionnaire requests both intercompany agreements and transfer pricing documentation that covers the financing transactions. |
Royalties Questionnaire |
Focuses on transfer pricing policies associated with royalty transactions. |
Wage Subsidy and Transfer Pricing Questionnaire |
Inland Revenue’s expectation is that where the Wage Subsidy was received by a multinational operating in New Zealand, the benefit of that subsidy should generally be retained by that entity. This questionnaire is designed to help understand how the Wage Subsidy has been treated from a transfer pricing perspective. |
Given the inherit uncertainty in determining an arm’s length price it is vital that taxpayers adopt a high level of care to transfer pricing to ensure that tax positions are as protected as possible from challenge. Taxpayers that adopt a light touch approach will be doing themselves a disservice and could receive a large and unexpected tax bill should Inland Revenue come knocking, as well as unexpected costs of a detailed transfer pricing and tax audit.
If you have any questions about your transfer pricing policies and preparation of appropriate supporting documentation, please contact your usual Deloitte tax advisor.