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The Latest From USCIB

January 26, 2004

 

Taxation:

Concern Voiced on Transfer Pricing Revision

 

USCIB members have expressed concern over proposed changes to a key section of the U.S. tax code that covers transfers between related companies.  They strongly favor retaining an existing rule for its clarity and ease of use.

 

 

On January 14, Mike Mason (PricewaterhouseCoopers), who chairs USCIB’s Working Group on Transfer Pricing of Services, testified before a panel of Internal Revenue Service and Treasury Department officials on the proposed rewrite of the 1960s-era regulations on taxation of inter-company services and intangibles (known as Section 482).  He was joined by Ed Futterer (ExxonMobil), who spoke on behalf of the American Petroleum Institute, and several other industry panelists.

 

Strong support was voiced for retaining the “cost safe harbor,” which allows for the allocation and apportionment of certain costs between related parties without any markup.  Panelists said a proposed replacement system, the “simplified cost base method,” would add costs and administrative burdens.  They praised the current method for its efficiency, ease of administration, consistency across industries and certainty in terms of application.  Several speakers noted that using the proposed new method would require a great deal of otherwise unnecessary transfer pricing analysis.

 

Most speakers asked to have the proposed new system eliminated outright, although a few pressed merely for greater clarity and other changes to the proposal.  Dissatisfaction was also expressed at the emphasis placed on the residual profit split method: many complained that too few examples were put forward in the proposal and, of those included, many were either biased, incomplete or inaccurate.

 

 

Push for Japan Tax Treaty Ratification – USCIB has sent letters to Sen. Richard Lugar, chairman of the Senate Foreign Relations Committee, and Sen. Joseph Biden, the ranking minority member, urging the swift ratification of the revised U.S.-Japan Income Tax Convention, which the Bush administration sent to the Senate shortly before the holidays.  If approved by the Senate and the Japanese Diet in the first quarter of this year, the treaty will enter into force on July 1, 2004; if approved later in the year, that date will be pushed back to January 1, 2005.  These six additional months of reduced withholding tax rates represent substantial relief for U.S. companies, who have already seen profits generated by their Japanese subsidiaries subject to excessive taxation under the current convention, which dates to 1971.

 

 

 

Members plan to raise this issue with Barbara Angus, international tax counsel with the Treasury Dept., at the February 25 meeting of USCIB’s Tax Committee.

 

Staff contact: Kris Knutsen

 

More on USCIB’s Taxation Committee

 




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