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17.06.2024

Germany: New transfer pricing rules for cross-border intra-group financial transactions - Impact of the Growth Opportunities Act

Author
Melanie Appuhn-Schneider
Partner
WTS Global Transfer Pricing GSL Co-Head
Germany
View Profile

On March 22, 2024, the Federal Council approved the Act to Strengthen Growth Opportunities, In-vestment and Innovation as well as Tax Simplification and Fairness (Growth Opportunities Act, WtChancenG). The law was promulgated on 27.3.2024.

The latter is accompanied by a number of innovations in the area of transfer pricing for cross-border intra-group financial transactions, which can be found in paragraphs 3d and 3e of Section 1 Foreign Tax Act (“FTA”). These are intended to specify the application of the arm's length principle for cross-border intra-group financing relationships.

Section 1 (3d) FTA: Debt sustainability and group credit rating

According to Section 1 (3d) FTA, it does not comply with the arm's length principle if an expense resulting from a cross-border financing relationship within a multinational group of companies has reduced the taxpayer's income (inbound case) and one of the two alternative conditions is met:

  • Condition 1: The taxpayer cannot credibly demonstrate that (a) it could have serviced the debt for the entire term from the outset (debt sustainability) and (b) the financing is eco-nomically necessary and used for business purposes.
  • Condition 2: The interest rate to be paid exceeds the interest rate at which the company could obtain financing from third parties on the basis of the group credit rating (whereby in individual cases an interest rate corresponding to a derived stand-alone rating could be proven to be at arm's length).

These transfer pricing requirements for financing relationships, which are regulated by law for the first time, contain a large number of undefined legal terms and application issues. It is expected that these will be further clarified in an administrative circular.

Section 1 (3e) FTA: Just routine activities?

Section 1 (3e) FTA stipulates that the intra-group arranging or forwarding of funds regularly constitutes low-function and low-risk services. This also applies to “finance companies”. From a transfer pricing perspective, the cost-plus method would normally be applied to such services. A different treatment can be demonstrated by analyzing the functional and risk profile. The burden of proof of appropriate transfer prices for financing activities that are non-routine in nature is thereby shifted to the taxpayer.

Practical implications

The new transfer pricing regulations are to be applied for the first time in 2024. There is no explicit exeption for existing intercompany financial transactions. It is therefore advisable for taxpayers to review the current pricing process for intra-group cross-border financial transactions. In view of Section 1 (3d) and (3e) FTA, companies are well advised to address the following as part of the preparation of transfer pricing documentation: 

  • Carrying out a liquidity and/or financial needs analysis for all affected cross-border intra-group financing relationships and presenting the prospective debt service capacity of the borrowers;
  • Review of the applied interest rate, taking into account the group's credit rating and/or an-alyze if a credit rating different than the group credit rating may still be appropriate; and
  • Review of the function and risk profile, in particular for on-lending and financing companies, and adjustment of the applied remuneration, if necessary. 
Author
Melanie Appuhn-Schneider
Partner
WTS Global Transfer Pricing GSL Co-Head
Germany
View Profile
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Recent cases on TP – Chile vs Avery Dennison Chile SA (FY 2012)
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Brazil is known for not implementing the OECD Guidelines regarding transfer pricing. Now, new transfer pricing documentation requirements have been announced. This will require a significant effort, even though Brazil is already at a very high level in this respect.

New ‘Local File’ Requirements in Brazil
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Our colleagues from Argentina provide an overview of the new mandatory disclosure framework for domestic and international tax planning arrangements.

Argentina: Mandatory Disclosure Framework and Transfer Pricing
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The UK government has opened a consultation process on changes regarding the transfer pricing documentation requirements valid in the UK. Our British colleagues explain the proposed changes.

UK Consultation on Transfer Pricing Documentation
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The Polish tax authority has issued guidance on new documentation requirements for transactions involving tax havens. The article explains to what extent this has a practical effect for taxpayers.

Poland: New documentation requirements for transactions with tax havens as of 1 January 2021
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In the Netherlands, the Dutch Ministry of Finance has published a draft proposal under which downward adjustments would be limited in order to address transfer pricing mismatches when applying the arm’s-length principle.

Netherlands: Proposed limitation to Dutch unilateral downward adjustments
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In Italy, new rules came into force regarding the structure, content and submission of the transfer pricing documentation. These changes apply to both the master file and the local file and have significant implications for the taxpayer.

Italy: New Rules on the Transfer Pricing Documentation
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Our colleagues in Hungary explain the current focus of the Hungarian tax authority at Hungarian subsidiaries of foreign companies under the aspect of transfer pricing following the COVID-19 crisis.

Pandemic does not stop TP audits in Hungary
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In Germany, the Federal Ministry of Finance has published the Administrative Principles 2020. These replace the version of 2005 to some extent, but there is a greater emphasis on procedural aspects.

German Federal Ministry of Finance: Administrative Principles 2020 published
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In France, after half a century, the status quo of the tax regime regarding intangible assets is changed. Our French colleagues outline some of the principles behind the newly established “Nexus” approach.

France: Self-financing through intangible assets or how to generate significant tax savings
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In Austria, the draft of the revised Austrian Transfer Pricing Guidelines 2020 was published. Our Austrian colleagues outline the changes and consequences.

New Austrian Transfer Pricing Guidelines 2020
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An update from 16 countries on recently introduced legislations and cases. In particular, the adoption of certain OECD guidelines. Additional developments in the field of transfer pricing, including the implementation of the BEPS into the laws of the various countries, are presented.

Global TP Newsletter #2/2021 now available
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Melanie Appuhn-Schneider and Alexander Haller held a lecture on emerging transfer pricing issues in Germany at HEC Lausanne

Transfer Pricing in Germany - emerging issues
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The Vietnamese Government recently issued 2 decrees on TP: Decree 132/2020/ND-CP (Decree 132) dated 5 November 2020 which replaces Decree 20 and is valid for the fiscal year 2020 and Decree No. 126/2020/ND-CP (Decree 126) dated 19 October 2020.

Vietnam: New decrees on transfer pricing
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On 18 August 2020, the Taiwan Ministry of Finance (MOF) announced draft amendments to the Regulations Governing Assessment of Profit-Seeking Enterprise Income Tax on NonArm’s-Length Transfer Pricing (TP Assessment Rules).

Taiwan: Draft amendments to transfer pricing assessment rule
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Within the framework of the OECD Convention on Mutual Administrative Assistance relating to Taxation, Senegal has signed the Multilateral Convention called MLI.

The Multilateral Convention of OECD BEPS project: Senegal’s position and its impact on its bilateral DTTs
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Part 2 of the Income Tax (transfer pricing) Regulations 2018 (TP Regulations) focuses on compliance with the arm’s-length principle, Advanced Pricing Agreements and corresponding adjustments. Section 5 of the TP regulations clearly cites that in determining whether a transaction is compliant with the arm’s-length principle, such a transaction must be guided by the available TP methods as listed thereunder.

Nigeria: Averting penalties on TP transactions by means of proper TP compliance
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The Central Board of Direct Taxes (CBDT) issued a detailed Guidance on MAP in August 2020 for the process to be followed by an Indian Competent Authority (CA) and field officers, and comprehensive guidance on issues related to MAP processes.

India: Updates on the Mutual Agreement Procedure (MAP)
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Our colleagues in Costa Rica explain recent updates in local tax law affecting transfer pricing and provide three examples on how the tax administration has adjusted the mentioned decrees.

Costa Rica: Transfer pricing update for Costa Rica
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Chile’s Internal Revenue Service published Resolution 101, which incorporates two new affidavits regarding transfer pricing compliance, which must be submitted by the taxpayer in certain cases.

Chile: Adoption of new transfer pricing requirements: master file & local file
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The Argentine Revenue Service has added new transfer pricing documentation requirements for operations with intermediaries. More specifically, the requirements for transfer pricing documentations have been extended with a focus on imports and exports through international intermediaries.

Argentina adds new transfer pricing documentation requirements for operations with intermediaries
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Our Ukraine colleagues explain Law 466-IX that has introduced comprehensive changes within the Ukrainian tax code, including the implementation of the BEPS three-tier reporting standard.

New business purpose test in Ukrainian tax law
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The Swedish Tax Agency has issued new guidance on financial guarantees. Swedish taxpayers can now rely on the OECD approach as suggested in Chapter X.

Sweden: New guidance on financial guarantees
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On 29 October 2020, China’s State Administration of Taxation released the “2019 Advanced Pricing Arrangement Annual Report” (2019 APA report).

China publishes annual APA report
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In Spain, the settlement of tax disputes in the European Union has been implemented into Spanish domestic law.

Spain: Transposition of directive 2017/1852 relating to the integration of mechanisms or the resolution of tax disputes in the European Union into Spanish domestic law
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In France, to deduct the full amount of intergroup interests, a French company must prove that the paid interests are not excessive. Our French colleagues outline some of the principles behind this regulation.

France: Proof of the interest rate applied between related companies
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An update from 13 countries on recently introduced legislations and cases. In particular, the adoption of certain OECD guidelines. Additional developments in the field of transfer pricing, including the implementation of the BEPS into the laws of the various countries, are presented.

Global TP Newsletter #1/2021 now available
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By joining the Inclusive Framework on Base Erosion and Profit Shifting on 2 June 2017, Thailand committed itself to the implementation of the BEPS minimum standards.

Thailand: Transfer Pricing Update
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The new Law on Tax Administration (“LTA”), effective from 1 July 2020, strengthens the tax enforcement in Vietnam.

Vietnam: The impact of the new Law on Tax Administration on Transfer Pricing
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Pakistan shifted the focus of its Tax Authorities towards transfer pricing issues by introducing regulatory amendments concerning TP audits.

Pakistan: Transfer Pricing Audit
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The contribution from Nigeria sheds light on the first transfer pricing decision of the Nigerian tax appeals tribunal and provides a brief outlook on what taxpayers should consider in view of their transfer pricing.

Nigeria: Applicable TP Methods in Nigeria – Analysing prime plastichem Nigeria limited V federal inland revenue services
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Since the beginning of 2020,reduced limitations on Taiwan’s “one-time transfer pricing adjustment” became effective, which helps enterprises to achieve an arm’s-length result even in times of unexpected market conditions.

Taiwan: One-time Transfer Pricing adjustment in Taiwan
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Despite the modernised Income Tax Law and Tax Code, which has been published at the beginning of this year, Chile expects further practical and regulatory modifications due to the ongoing COVID-19 pandemic.

Chile: Revision of formal obligations: what to expect
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Our colleagues from Argentina provide an overview of the new transfer pricing regulations by summarising the six main aspects of GR4717.

Argentina: “Argentine Transfer Pricing News - 2020 Second Trimester”
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Ukraine recently introduced new proportional adjustment rules, which could lead to a reduced risk of double taxation triggered by one-sided TP adjustments.

Ukraine: New proportionate TP adjustment rules introduced into Ukrainian tax law since May 2020
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In an example, our colleagues from the Netherlands describe the field of tension in which the OECD regulations and Dutch tax laws on the deductibility of intra-company financing are currently moving.

Netherlands: “To dip or not to dip, that is the question”
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In Italy, a new Legislative Decree came into force to ensure a more effective EU transfer pricing dispute resolution mechanism.

Italy: The New Italian Law on International tax disputes settlement
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Hungary provided its taxpayers a four-month extension of their transfer pricing documentation and furthermore accepts a re-evaluation of the profit-loss model, due to the impact of COVID-19.

Hungary: Recent Hungarian developments in transfer pricing with a focus on impacts of COVID-19
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Typification of the arm’s length principle also applicable to domestic transactions? A comparison of tax consequences in cross-border and domestic cases

Germany: Suggested draft law on IC financing
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Our French colleagues explain what needs to be considered from a transfer pricing perspective in these times of COVID-19, especially with regard to documentation requirements, the use of benchmarking studies and the deductibility of interest expenses.

France: Impact of the crisis on transfer prices
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An update from 13 countries on recently introduced legislations and cases. Additionally, developments in the field of transfer pricing, due to the economic and social impact of the ongoing COVID-19 pandemic are presented.

Global TP Newsletter #2/2020 now available
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An overview of recent decisions of the German Federal Fiscal Court, the final OECD guidance and Germany's bilateral position

Germany: I/C Financial Transaction and Transfer Pricing: Final OECD Guidance and Germany’s Bilateral Position
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An overview on the final version of the circular letter “Transfer Pricing” published by the Belgian Tax Administration (BTA)

Belgium: The final version of the circular letter "Transfer Pricing"
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WTS Global experst share their regional expertise in a comprehensive overview.

Transfer Pricing in Latin America
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An overview of measures introduced in implementation of the EU directive on tax dispute resolution mechanisms.

Austria: Implementation of the EU Directive on Tax Dispute Resolution Mechanisms
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Analysis from a holistic, transactional and overarching perspective. Summary Documents are available for download.

COVID-19: Transfer Pricing considerations
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Although MNEs are currently facing challenges that are likely more pressing than taxation/transfer pricing, the current crisis may also provide opportunities in this field. 

COVID-19 & Transfer Pricing
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Austria: BMF-Info Transfer Pricing Documentation
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