Profit Split Method (PSM)
The Profit Split Method allocates profits among related parties based on their relative contributions to value creation in transactions.
- Arm's Length Price
- Advance Pricie Agreement (APA)
- Cost Plus Method (CPM)
- Comparable (CUP) Method
- Resale Price Method (RPM)
- Transactional Net Margin(TNMM)
- Double Taxation (DTAA)
- FAR (Functions, Assets and Risks)
- TP Methods / Analysis
- Most Appropriate Method
- Mutual Agreement Procedure (MAP)
- Transfer Pricing Documentation
- Thin Capitalization
- Online Grievances
- TP Judicial Decisions
- TP Rules / Regulations
- OECD Guidelines
Profit Split Method (PSM)
Definition
This method is used when associate enterprise transactions are included that it becomes very hard to conduct a transfer pricing analysis on a transactional base. The priority function to do is combined net profit acquiring to connected entities from a transaction is decide. After that combined net profit is allotted in between connected entities with mention to market income gained by free enterprises in comparable transactions. Excepteur sint occaecat cupidatat non proident, sunt in culpa qui officia deserunt mollit anim id est laborum.
In this Profit Split Method (PSM):
- First move is to decide the sum of profit gained by the associate parties from a controlled transaction. The Profit Split Method (PSM) allots the total incorporated profits connected to a controlled transaction, not the total profits of the associate group as a complete. The profit to be split is usually the operating profit, before the reduce of interest and taxes. In some satiations, it may be suitable to split the gross profit.
- Second move is to split the profit among the associate parties base on the comparative price of their assistance to the non-arm’s length dealings, allowing for the functions assumed, the properties used, and the risks understood by each non-arm’s length associate parties, in connection to what arm’s length parties would have taken.
Profit Split Method (PSM) applied where:
- The functioning of two or more non-arm’s length associate parties are extremely included, making it hard to assess their dealings on an entity basis; and
- 4. The continuation of valuable and sole intangibles makes it hard to set up the proper stage of comparability with uncontrolled dealings to relate a one-sided method.
Due to the difficulty of international operations, one group of the global group is rarely allowed to the total return attributable to the important properties, such as intangibles.