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Contents

Official guidance
International Manual

INTM450000 · Transfer pricing records

  • INTM450010 · Overview
  • INTM450020 · Who is in scope?
  • INTM450021 · Permanent Establishments
  • INTM450030 · Who has the record keeping obligation?
  • INTM450040 · Frequency of review
  • INTM450050 · When to provide the specified transfer pricing records
  • INTM450060 · Possession or power
  • INTM450070 · Failure to keep and preserve the specified transfer pricing records
  • INTM450080 · Where an MNE group does not meet the CbCR threshold
  • INTM450090 · Master file
  • INTM450100 · Local file
  • INTM450101 · Controlled transactions
  • INTM450102 · Categories of transactions
  • INTM450103 · Aggregation of financial transactions
  • INTM450104 · Materiality of a category of controlled transactions
  • INTM450105 · Local file exemptions - UK to UK transactions
  • INTM450106 · Local file exemptions - Advance Pricing Agreement (APAs)
  1. Transfer pricing records: contents
  2. Transfer pricing records: possession or power

INTM450060 | Transfer pricing records: possession or power

From HM Revenue & Customs · International Manual

In general, a person cannot be required to produce a document unless the document is in their possession, or they have the power to produce it (see CH22120).

However, the possession and power restriction does not apply to the specified transfer pricing records.

Where a UK entity is in scope of the Regulations, a relevant person is required to produce the specified transfer pricing records in response to a formal information notice even if the information or documentation needed to prepare the specified transfer pricing records is in the power or possession of another person who is part of the same MNE group (FA08/SCH36/PARA37C).

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