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The Internal Revenue Service (IRS) Large Business and International division (LB&I) released an International Practice Unit (IPU) on May 12, 2016 outlining situations under which U.S. taxpayers with related party transactions may invoke Internal Revenue Code (IRC) 482 to make adjustments to income to reflect an arm's length result.
The IRS recommends that readers review the ”Three Requirements of IRC 482”, ”Arm's Length Standard”, ”Comparable Profits Method (CPM) Simple Distributor - Inbound”, and ”Best Method Determination for an Inbound Distributor” IPUs to fully understand application of this IPU.
It is also important to note that IPUs are intended as a general discussion of a concept, process or transaction and not official pronouncements of law or directives. Nevertheless, IPUs provide useful guidance on what the IRS is prioritizing and how IRS examiners will approach topics in an audit situation. An awareness of the topics, issues, technical foundations and conceptual approaches outlined in IPUs can assist U.S. taxpayers in structuring their intercompany transactions with foreign related parties as well as preparing for potential IRS examination of their Federal income tax returns.
Note that taxpayers are not allowed to file an untimely or amended return that decreases U.S. taxable income based on allocations with respect to controlled transactions.
If the IRS agent is in agreement that the U.S. subsidiary has properly identified a setoff adjustment and followed the proper procedures, the IRS proposed adjustment will be amended to include the setoff adjustment.
The IPU warns that the taxpayer's allowed use of IRC 482 may result in double taxation. If an adjustment is made that results in double taxation, the taxpayer may have access to double tax relief under Article 25 of the U.S. Model Income Tax Treaty and the Mutual Agreement Process.
Controlled groups with U.S. subsidiaries entering into transactions with foreign related parties should consider the ability to adjust taxable income as necessary to reflect arm's length pricing on intercompany transactions as part of their global tax planning strategy. As noted above, the U.S. subsidiary should be prepared to support any adjustments to taxable income made using IRC 482 with transfer pricing documentation, research studies and/or pricing analysis and verification procedures.
Brad Pittman
Partner
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