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Contents

Official guidance
International Manual

INTM482000 · Transfer pricing: risk assessment

  • INTM482010 · Introduction
  • INTM482020 · Issues to consider before starting a transfer pricing enquiry: resources
  • INTM482030 · Issues to consider before starting a transfer pricing enquiry: tax at risk
  • INTM482040 · Transfer pricing risk indicators: general
  • INTM482050 · Transfer pricing risk indicators: effective tax rates
  • INTM482060 · Transfer pricing risk indicators: transfer pricing rules in other countries
  • INTM482070 · Transfer pricing risk indicators: comparing the results of the company and the group
  • INTM482080 · Transfer pricing risk indicators: losses over a number of years
  • INTM482090 · Transfer pricing risk indicators: payment of significant management or service fees
  • INTM482100 · Transfer pricing risk indicators: payment of royalties
  • INTM482110 · Transfer pricing risk indicators: ownership of intellectual property
  • INTM482120 · Transfer pricing risk indicators: business reorganisations
  • INTM482130 · Conducting a transfer pricing risk assessment: detailed process
  • INTM482140 · Conducting a transfer pricing risk assessment: review of information from other sources
  • INTM482150 · Conducting a transfer pricing risk assessment: lack of information
  • INTM482160 · Conducting a transfer pricing risk assessment: range of issues
  • INTM482170 · Summary and conclusions
  1. Transfer pricing: risk assessment: contents
  2. Transfer pricing: risk assessment: introduction

INTM482010 | Transfer pricing: risk assessment: introduction

From HM Revenue & Customs · International Manual

Structure of this guidance

This chapter covers risk assessment and selection of transfer pricing cases for enquiry. It’s divided into four sections:

  • Issues to consider before starting a transfer pricing enquiry: INTM482030 onwards

  • Transfer pricing risk indicators: INTM482040 onwards

  • Conducting a transfer pricing risk assessment: INTM482130 onwards

  • Summary and conclusions: INTM482170

The guidance in this chapter gives advice on how to risk assess and select cases for a transfer pricing enquiry. There will be occasions when it will not be appropriate to examine a company’s transfer pricing arrangements and this chapter also highlights some of these.

There are governance processes which must be followed both before commencing an enquiry and as it progresses - see INTM481000 onwards.

Readers who are new to transfer pricing should first read the guidance covering transfer pricing legislation and principles at INTM412000 onwards.

Thin capitalisation cases

Risk assessment of thin capitalisation issues is covered separately at INTM513010 onwards.

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