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What kind of documents need to be submitted under China's transfer pricing regime when enterprises file their annual income tax returns?

What kind of documents need to be submitted under China's transfer pricing regime when enterprises file their annual income tax returns?

The principal documents are as follows:

(i) The group organizational structure;
(ii) The nature of the taxpayer's business, and the industry and market conditions;
(iii) The controlled transactions, including identification of relevant data and inter-company agreements;
(iv) The assumptions, business strategies, and transfer pricing policies, including information regarding factors that influenced price-setting;
(v) An analysis of functions, risks, and tangible and intangible assets;
(vi) The selection of the transfer pricing method;
(vii) The application of the transfer pricing method including comparability analysis; and
(viii) The conclusions on the arm's length nature of the inter-company transactions.

The supplementary documents are as follows:

(i) Original entry books and transaction records;
(ii) Pricing documents such as invoices and shipping documents and inter-company correspondence;
(iii) Analysis of special factors that have directly or indirectly impacted the inter-company pricing, such as an explanation of any continuous losses for a period of time, market entry strategies and set-off transactions.

Q2. Under what circumstances will the tax authorities make transfer pricing adjustments?

(i) The cumulative amount of related-party transactions exceeds RMB100,000;
(ii) The estimated retrospective adjustments exceed RMB500,000;
(iii) A taxpayer has failed to comply with the related-party disclosure requirements in its annual return for previous years, or if, upon further audit investigation, a taxpayer is found to have provided incorrect information on its pricing and costs in relation to the related party transactions; and
(iv) A taxpayer has previously had transactions with related parties in tax-haven countries.

Q3. What kind of enterprises are most likely to expose themselves to transfer pricing investigation by the tax authorities for non-compliance?

(i) The production and operation decisions are controlled by related parties;
(ii) Amounts of the controlled transactions with related parties are significant;
(iii) Continuing losses for more than two consecutive years;
(iv) Fluctuating profits, i.e. profits and losses in alternate years;
(v) Profit margins lower than the industrial average or group average;
(vi) Payment of unreasonable fees to related parties; and
(vii) Sudden drop in profits after the expiration of a tax holiday period.

 

 

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