Advantages of implementing operational transfer pricing

International Tax Review is part of Legal Benchmarking Limited, 4 Bouverie Street, London, EC4Y 8AX

Copyright © Legal Benchmarking Limited and its affiliated companies 2025

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

Advantages of implementing operational transfer pricing

Sponsored by

sponsored-firms-hager.png
The concept of OTP has been evolving

Carlos Pérez Gómez and Dan Paul Hernández de Aguirre of HLB MAAT Asesores explain the benefits of having an operational transfer pricing process.

The latest legislation updates applicable for transfer pricing (TP) purposes in Mexico and worldwide represent a challenge regarding the correct registry and transfer prices implementation as part of the accounting and economic processes for multinational groups that could be solved through technology. This is emphasised as the operations of the multinational group and the TP framework are becoming more complex and extensive in all countries, as well as a significant and growing perception of risks in TP areas by the tax authorities.

The OECD, through the BEPS project, foresees a series of actions as a reference to adequately handle the data from multinational companies, coherence of internal policies, reinforcement of substantial requirements in current international standards and the improvement of transparency. This is the case of Action 13, which requires significant qualitative (local file and master file) and quantitative information (CbC Report), which once again grants the multinational companies an opportunity to strengthen procedures with quality standards, adequate data management as well as being able to efficiently portray the impact concerning TP on the taxable income of the entities that are part of the multinational group.

The Actions of the BEPS Plan propose the implementation of TP policies in a comprehensive context, as well as efficient data management and double taxation risks, to find better decisions and multilateral agreements, thus giving a greater motivation to review the operational transfer pricing (OTP) process.

The OTP is a comprehensive process consisting of a series of steps which begin by identifying and analysing the intercompany transactions, conducting a compliance analysis, to the financial reporting and registration process to ensure solid monitoring, maintenance and continuous analysis of the process ‘from end-to-end’ and the resulting repercussions on TP, preventing subsidiaries from managing their TP policies locally and differently to reduce the risk of unilateral adjustments and possible unduly exposure to tax risks.

The design and planning of TP policies is essential because it provides guidelines for the application of how intercompany transactions should be established in an economic, legal, commercial and consistent sense with applicable laws, as well as avoiding the disparities affecting the reported numbers, which may translate into TP adjustments at the end of the fiscal year or the possibility of double taxation, penalties and/or prolonged audits that create significant disruptions.

Some fundamental elements in the planning and design of TP policies are the following:

  • A global TP policy supported by an appropriate economic analysis as well as consistent with the factual depiction of functions, assets, risks, and intellectual property of the related parties;

  • Intercompany agreements between the entities involved focused on the background of the transactions in order to mitigate the risks of incorrect conceptualisation;

  • A global management framework, as well as analysis and supervision processes that determine and facilitate compliance with TP policies; and

  • Updated documentation showing that the established policies applied comply with the ‘arm’s-length’ principle by the end of the fiscal year.

At the planning and design level, the mechanism to carry out these policies efficiently and consciously is (i) defining the main risk areas; (ii) identifying the flows of intercompany transactions; (iii) establishing the technical valuation process in which various economic methods are identified; and (iv) the evaluation of the operational impact on the flexibility of a given policy choice.

The functionality of the internal systems of each company (i.e. enterprise resource planning) must cover the specific needs, without leaving behind the impact on its accounting and fiscal requirements of intercompany operations, such as invoicing, electronic accounting or analytical work papers, in accordance with the legislation of each country.

OTP focuses on proactive analysis and monitoring that is executed continuously in order to identify any problem on time and to be able to solve it efficiently. An adaptable solution allows a company to identify TP risks in a timely manner, determine adjustments and avoid indirect tax problems, always distinguishing a proactive approach rather than a reactive one.

An efficient OTP will be one that aligns the TP objectives with the commercial ones, promoting compliance with each applicable legislation, reducing complexity, providing strategies and promoting better decisions at all times.

The key factors in achieving an efficient OTP system rest on the management framework, the designated owner of the global TP process, the operational design of the OTP model, and technology adaptability solutions.

The operational design of the OTP model is an essential element in the OTP system, since it is the resource through which the data included in the system will be analysed, therefore it is necessary to map the data process and divide it into four phases: (i) identification of intercompany transactions; (ii) determination of prices and costs; (iii) registration process for reports; and (iv) monitoring, maintenance and analysis to ensure that these measures are reviewed and applied according to the inputs and results of the system.

The concept of OTP has been evolving and it has become relevant in processes involving TP and technology, due to the need to clean inconsistencies in the data and thus the coherence of the TP analysis.

For the effective application of an OTP, it is important to be realistic and have full knowledge of the business and the problem to be solved because, by doing so, there is a good chance of having a long-term benefit. This, without a doubt, must be complemented by an in-depth analysis of the TP structure, characterisation of the entities and the previously established compensation mechanisms.

Having an OTP will significantly help towards providing an accurate and timely response to questions and requirements made by the tax authorities, reducing response times and the administrative burden required in these processes.

 

Carlos Pérez Gómez

Partner, HLB MAAT Asesores

E: perez.gomez@hlbmaat.com

 

Dan Paul Hernández de Aguirre

Director, HLB MAAT Asesores

E: dan.hernandez@hlbmaat.com

more across site & shared bottom lb ros

More from across our site

Australia’s conservative opposition will repeal controversial tax agent reporting rules if elected in the country’s May general election
Shapley would be the fourth person to hold the job this year; in other news, UK tax advisory firm MHA raised fewer funds than expected from its London IPO
The US needs to be involved in pillar one for there to be more international acceptance of the project, Michael Masciangelo says
The UK regulator is investigating EY’s auditing of the national postal service as it relates to the high-profile Horizon scandal, which saw hundreds wrongfully convicted
The directive will extend cooperation and information exchange around pillar two, according to the Council of the EU
Audit engagement partner Christopher Voogd has also been hit with a £32,500 charge over the firm’s work with Stirling Water Seafield Finance
China’s largest overhaul of its tax administration system in 24 years, featuring enhanced enforcement powers, is underway, says Abe Zhao of FenXun Partners
However, the US president increased tariffs on imported Chinese goods to 125%; in other news, UK tax firm MHA expects to raise £102m from its London listing
A mere three firms accounted for more than 90% of top-up taxes paid, according to research from Deloitte
Taxpayers with Brazilian operations should revisit their withholding positions in light of updated US guidance, writes Rafael Benevides, senior tax counsel at Meta
Gift this article