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Published on July 4, 2017
For years now, companies operating in the automotive supplier industry have structured their business models in an internationally oriented manner, and this trend has been on an increase. In this process, value chains of corporate groups become globalised, as a result of which essential functions become highly integrated and foreign subsidiaries directly contribute to value creation within the corporate group. For example, development, production or sales activities are often carried out not only from the head office in Germany alone but also by employees scattered across locations abroad. In practice, it is often difficult to delineate individual contributions made by associated enterprises to value creation. This basically leads to the question in what cases and how profits should be split among associated enterprises.
In publishing the public discussion draft of the Base Erosion and Profit Shifting (BEPS), the OECD has for the first time put forward for discussion a guidance document offering specific information on how to apply the transactional profit split method. In particular, the published guidelines describe cases in which a profit split can be seen as the most appropriate method for splitting profits between associated enterprises.
Indicators or prerequisites for the application of the profit split method can include, among others, highly integrated business models and the fact that associated enterprises participating in a transaction make unique and valuable contributions. Decisive here is that operations of each enterprise in terms of functions performed, risks assumed, and assets used, are closely related to transactions with associated enterprises and cannot be evaluated only in isolation or separately from those transactions. Such a close relationship can be normally assumed in the case of transactions between entities operating in the same link of the value chain, where the enterprises participating in the transaction share the economically significant risks or make unique and valuable contributions. The uniqueness and the valuable nature of contributions made by enterprises in an intra-group transaction arises especially from the fact that they are not comparable to contributions that independent third parties would make under similar circumstances and are an important starting point for generating a profit or for the prospect of generating a profit. In consequence, enterprises will have to more intensively identify and analyse value-creating contributions of individual group enterprises in the future. Especially in the case of transactions where intangibles constitute an essential success factor, it is advisable to conduct a detailed analysis of the so-called DEMPE functions. This mainly arises from the effort of the OECD under BEPS Actions 8-10 to ensure consistency between the outcomes of controlled transactions and the value creation.
Michael Scharf
Partner
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