INTM484020 | Transfer pricing: operational guidance: examining transfer pricing reports: report contents
From HM Revenue & Customs · International Manual
Likely structure
Functional analysis
Reviewed transactions
Legislation
OECD methodologies reviewed
Most appropriate methodology selected
Appropriate methodology applied
Selection of ‘comparable’ companies or transactions
Arm’s length range of results
Consideration of where the tested party’s results are in the range
Conclusion
The key components above are examined in more detail at INTM484030 onwards. Case teams should not however assume that any one of the above components, either as it appears in the report itself or in this guidance, is conclusive. Rather the report should be considered as a whole. What does it say about the company and are its conclusions valid? A report is not necessarily incomplete if not all the possible component areas are present. The most useful reports provide detailed functional analysis. A report lacking in such detail is unlikely to be of any value.