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South Africa’s first Transfer Pricing case, and it’s a win for the taxpayer! - Academy of Tax Law

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South Africa’s first Transfer Pricing case, and it’s a win for the taxpayer!

Table of Contents

Before we get into the article we would like to add that Prof Dr Daniel N Erasmus and the TRM team represented the taxpayer in this matter. Dr Erasmus discusses the intricacies of Transfer Pricing trials in his upcoming book: “CONDUCTING A TP TRIAL“.

DOWNLOAD THE JUDGMENT HERE>>>

THIS ARTICLE WAS FIRST PUBLISHED BY REGAN VAN ROOY

Can we hear a “woohoo”!? Yes, you read right, South Africa has finally had its first TP case and whaddaya know, the taxpayer won! In this case, the taxpayer, referred to very creatively as ABD, appealed against an increased assessment imposed on it by the South African Revenue Service (SARS).  ABD is a South African telecommunications company with subsidiaries worldwide, to which it licences certain intellectual property (“IP”) in return for a royalty.  And of course the pricing of this royalty was the issue at stake.

What is an arm’s length royalty?

Well that’s the million dollar question, and everybody agreed the arm’s length principle is the fundamental concept governing the valuation of intellectual property (IP) for TP purposes, everyone also seemed to agree that the OECD Guidelines is the key playbook to follow.  IP is of course just intangible i.e. non-physical assets, the value of which can be derived from their potential to generate revenue. What IP was being paid for was contested back and forth, but drilled down to brand-related IP, including trademarks but not goodwill. Defining IP is super complex, and requires a lot of specialist analysis, so there were some meaty discussions by some meaty folks throughout the case.

Basically, ABD charged all of the Opcos an identical royalty rate of 1% and SARS was not happy with this and argued it was not arms-length.

Let’s talk pie

ABD’s counsel decided to paint the picture using a comparison of a pie. Their counsel said the first determination is about the size of the pie and the second is about how to divide the pie.  One flavour of the pie that SARS and ABD agreed on, is that the arm’s length principle should be applied in determining the royalty i.e. what would it be if it was between two independent enterprises as opposed to a company taxed in one jurisdiction and its subsidiary taxed in another.  So far, so obvious but then things got a bit spicier.

SARS went through a rigorous process to contest the 1%, and relied on many expert opinions, including an economist charmingly called Dr (Clean) Slate.  But even SARS’ experts differed over how to calculate both the size and division of the pie. SARS settled on their economist’s approach, which surprise surprise supported a much larger share in the pie for the tax-man. This “flip- flop” approach by SARS does not seem to have been considered favourably.

So SARS, advised by Dr Slate, contended that ABD should have charged a variable royalty rate depending on the country and the year it was earned. The fluctuations created by adopting this approach are considerable. And we all thought tax authorities were adverse to varying royalty rates! Although maybe that´s just if the SA tax-payer is paying rather than receiving royalties…

ABD disagreed with Dr. Slate’s calculation of the pie’s size but agreed with his division of it.

READ THE REST OF THE ARTICLE HERE>>>

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Compare Programmes

Choose the track that fits your practice focus. All programmes are practitioner-taught, cohort-based, and validated by Middlesex University.

Dimension Transfer Pricing International Taxation South African Tax Law
Jurisdictional audience Global audience, covers all jurisdictions Global audience, covers all jurisdictions South Africa specific, relevant to SADC region
Ideal for TP managers, advisors, in-house tax teams, analysts moving into TP Advisors and managers dealing with cross-border rules, treaties, planning Practitioners working with the SA Income Tax Act, cases, compliance
Core focus Methods, comparables, DEMPE, documentation, audits, dispute defence Treaties, source vs residence, anti-avoidance, PE, relief from double tax Statutory interpretation, case law, assessments, objections, local practice
Primary tools OECD TP Guidelines, UN Manual, BEPS Actions 8–10, 13, case law OECD and UN Models, MLI, BEPS 1.0 and 2.0, domestic rules, cases Income Tax Act, SARS practice notes, Tax Administration Act, SA cases
Assessment style Case-based assignments, file reviews, short written defences Problem questions, treaty interpretation, position papers Problem questions, statutory analysis, case commentary
Typical outcomes Build defensible TP files and strategies, improve audit readiness Design cross-border structures within rules, mitigate double tax Apply SA tax law accurately, manage reviews and disputes
Entry point Start with PG Certificate, progress to PG Diploma, then MSc, or enter later with suitable experience or credits.

Awards Ladder

Award Best for What you achieve Assessment highlights
PG Certificate Foundation to intermediate upskilling Core concepts, frameworks, and applied techniques Short case write ups, timed responses, applied tasks
PG Diploma Expanding technical depth and application Advanced analysis, risk management, documentation quality Integrated case assignments, policy memos, oral defence
MSc Leaders and specialists building authority Capstone project and research backed practice outcomes Research project, viva or presentation, publishable summary

IFF Certificate Courses

Practical, practitioner-led certificates designed for immediate on-the-job application. Each course can stand alone or act as a pathway into our postgraduate tracks.

Dimension Conducting a Transfer Pricing Trial Effectively Managing Tax Teams Indirect Taxation Tax Risk Management
Jurisdictional audience Global audience Global audience Global audience, with local adaptation Global audience
Ideal for In-house tax, TP managers, litigators, advisors preparing for audits, ADR, trial Heads of tax, managers, team leads, controllers, emerging leaders VAT, GST, customs, finance managers, AP, AR, compliance specialists Tax managers, risk officers, controllers, advisors building governance
Core focus Case theory, evidence files, expert reports, witness prep, courtroom strategy Operating models, KPIs, workflows, stakeholder management, coaching VAT design, place of supply, input credits, exemptions, WHT interactions Risk identification, controls, documentation, audit readiness, dispute playbooks
Delivery mode Online, live sessions plus guided self-study Online, live sessions plus guided self-study Online, live sessions plus guided self-study Online, live sessions plus guided self-study
Duration 16 weeks, part-time 16 weeks, part-time 16 weeks, part-time 16 weeks, part-time
Outcomes Confident litigation preparation and defence for TP disputes Stronger execution, clear roles, measurable team performance Reduced VAT errors, better cash flow, fewer surprises at audit Structured governance, fewer findings, faster dispute resolution
Prerequisites TP fundamentals recommended Supervisory experience helpful Basic VAT knowledge helpful General tax experience helpful
Pathway Progress to PG Certificate in Transfer Pricing Progress to Mechanics of Leading Tax Teams, PG Certificate (leadership) Progress to PG programmes, International Tax or SA Tax Law Progress to PG Certificate in International Taxation or Transfer Pricing
Assessment End of module progress assessment

5000-word assignment if PG-Cert option elected
End of module progress assessment

5000-word assignment if PG-Cert option elected
End of module progress assessment

5000-word assignment if PG-Cert option elected
End of module progress assessment

5000-word assignment if PG-Cert option elected