Glossary · SearchOffshore
Transfer pricing refers to the prices charged for transactions between related parties in different tax jurisdictions — such as a parent company selling goods or services to a subsidiary, or a group company licensing intellectual property to an affiliate. The arm's length principle requires that these prices reflect what unrelated parties would agree in comparable circumstances. Transfer pricing is one of the most significant areas of international corporate tax risk for multinational groups.
Overview
When companies in the same group transact with each other across borders — selling goods, providing services, licensing intellectual property, making loans — the prices they charge affect how profits are allocated between jurisdictions and therefore how much tax is paid in each country. If a high-tax country subsidiary pays inflated prices for goods or services from a low-tax group entity, profits are shifted to the low-tax jurisdiction, reducing the overall group tax burden.
Tax authorities in most countries require that related party transactions be priced on arm's length terms — the price that would be agreed between independent parties in comparable circumstances. The OECD Transfer Pricing Guidelines, followed by most countries, set out the methodology for applying the arm's length principle across different transaction types including goods, services, financial transactions and intangibles.
For offshore structures involving holding companies, IP holding vehicles or treasury centres in low-tax jurisdictions, transfer pricing is a critical compliance and risk management area. BEPS (Base Erosion and Profit Shifting) initiatives have significantly strengthened documentation requirements and enforcement globally, making transfer pricing one of the highest-risk areas of international tax.
Key Concepts
| Term | Definition |
|---|---|
| Arm's length principle | The requirement that related party transaction prices reflect what independent parties would agree in comparable circumstances |
| Comparable uncontrolled price (CUP) | Transfer pricing method comparing the related party price to prices in comparable transactions between independent parties |
| Cost plus method | Pricing method adding an appropriate mark-up to the cost of providing goods or services to a related party |
| Transactional net margin method (TNMM) | Compares the net profit margin of the tested party to that of comparable independent companies |
| Country-by-Country Reporting (CbCR) | BEPS requirement for large multinationals to report revenues, profits, taxes and employees by jurisdiction |
| Master file / Local file | OECD three-tiered documentation structure — group overview (master file) and transaction-specific documentation (local file) |
| Advance Pricing Agreement (APA) | Agreement with tax authority in advance on the transfer pricing methodology for specific transactions — provides certainty |
| Secondary adjustment | Additional tax adjustment in some jurisdictions treating the transfer pricing difference as a deemed dividend or loan |
Offshore Relevance
Placing intellectual property in a low-tax jurisdiction and charging royalties to operating subsidiaries is a classic transfer pricing scenario. BEPS has significantly strengthened requirements for genuine substance and value creation in the IP holding entity — pure "letterbox" structures are no longer defensible.
Intra-group loans and cash pooling arrangements must be priced at arm's length interest rates. Financial transaction transfer pricing — including guarantees, loans and cash pooling — is covered by OECD guidance published in 2020.
Luxembourg SOPARFIs, Dutch holdcos and similar intermediate holding structures must demonstrate genuine economic substance and management activity to sustain their position in the group's transfer pricing model under BEPS and EU ATAD.
Management fees, shared service arrangements and intra-group service charges between offshore and onshore entities must be documented at arm's length. Tax authorities scrutinise payments from high-tax to low-tax group entities for evidence of genuine service delivery.
Important Notice
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