Showing posts with label INDIRECT TRANSFERS. Show all posts
Showing posts with label INDIRECT TRANSFERS. Show all posts

Thursday, December 26, 2024

TRANSFER PRICING, DYNAMICS OF TRANSFER PRICING, TRANSFER PRICING AND INDIA, INDIRECT TRANSFERS, Asset Transfer vs Share Transfer

 TRANSFER PRICING (TP):

Transfer Price is the actual price realized in an economic transaction between 2 subsidiary entities (international as well as domestic) which are part of the same MNC group. 





DYNAMICS OF TRANSFER PRICING:

  • The tax rates vary from country to country. eg .In India, average Capital gains tax is 30 % while in case of Mauritius Capital Gains Tax is nil.
  • So, MNC’s execute Economic transactions in such a manner that total tax implication of the MNC is minimum.
  • Transfer prices are set in such a manner that less profits are booked in countries with higher tax rates to avoid tax implications.



TRANSFER PRICING AND INDIA :

  • The Finance Act, 2001 inserted various provisions in IT Act 1961 for  the first time with detailed Transfer Pricing regulations in India vis-a vis international transactions.
  • The transfer pricing provisions were further extended to cover Domestic Transaction with effect from Financial Year 2012-13 .
  • These Transfer Pricing regulations, are intended to prevent Revenue loss arising to a country from shifting of profits from high to low tax jurisdictions in case of International Transactions,
  • In case of Specified Domestic Transactions, Transfer Pricing regulations prevent shifting of expenses or income between related enterprises / inter-unit enterproses merely to reduce the tax implications.
  • Transfer Pricing regulations provided for Most Appropriate Method (‘MAM’) of the 6 methods specified in section 92C of the Act to calculate the Arm’s Length Price (‘ALP’) .
  • With the passage of time, various disputes arose between the taxpayer and the Indian tax authorities over the issues such as the selection of most appropriate TP methodology .
  • To avoid litigation, Advance Pricing Agreement (APA) regime was introduced in 2012, followed by Safe Harbour Rules in 2013.


INDIRECT TRANSFERS :

  • Indirect transfers occur when foreign entities own assets in India  and the shares of the such foreign entities are owned by its subsidiary headquartered abroad.
  • In Indirect Transfer, substantial shares holdings in India are transferred only rather than any transfer of actual assets.
  • The Hutch-Voda CASE  was the classical example of indirect transfer.

Asset Transfer vs Share Transfer : 

  • In an asset transfer, the buyer chooses the assets rather than purchasing all the assets and the process of such buying is referred to as “cherry picking”.
  • In most of asset transfer cases, pre-existing liabilities of the business are not transferred as the buyer do not want to bear the liabilities.
  • Liabilities will normally remain with the seller unless specifically transferred to the buyer .
  • In a share transfer, ownership of the company transfers from the seller to the buyer, but the underlying business and assets remain owned by the company.
  • The buyer cannot cherry pick the assets and liabilities.
  • The buyer will acquire the shares in the company and will inherit all of the company’s assets and liabilities.


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