Latest developments in financial transactions transfer pricing: The Swiss view

International Tax Review is part of Legal Benchmarking Limited, 1-2 Paris Garden, London, SE1 8ND

Copyright © Legal Benchmarking Limited and its affiliated companies 2025

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

Latest developments in financial transactions transfer pricing: The Swiss view

intl-updates

The concept of the arm's-length principle is not new but the breadth of its interpretation today has changed considerably since it was first officially set out in Article 9 (Taxation on Income: Associated Enterprises) of the OECD's 1998 Model Tax Convention on Income and on Capital.

Views on the interpretation of the arm's-length principle differ across various countries and organisations and this is indeed also the case for issues relating to financial transactions.

The latest 2017 OECD Transfer Pricing Guidelines extensively elaborate on transactions relating to goods and services, intangible property and business restructurings, but the OECD is yet to publish its final guidance on financing transactions (originally anticipated in the summer of 2017). As things stand, the new OECD Guidelines provided some helpful insights on financial transactions, but to a large extent the guidance arguably raises more questions than it answers and leaves much open to interpretation.

Nevertheless, some common themes are emerging, with a strengthening focus on substance and risk. This focus extends further to encompass options realistically available, actual ability to control and bear risk, and arm's length behaviour of transacting parties notwithstanding the contractual terms of the transaction.

Practical considerations

In light of the above, it is important to consider the latest concepts impacting transfer pricing of financial transactions. We briefly outline these below.

Implicit support (or passive association)

The concept of passive association has been around for many years but the explicit acknowledgement of this concept within the latest OECD Guidelines removes substantial doubt around the application of this concept and illustrates that implicit support should be taken into account when determining the creditworthiness of a borrower.

The nuances surrounding the exact level of implicit support and the impact that this might have on credit ratings can be complex and require a revamp of numerous transfer pricing methodologies that have been used by multinationals in the recent past.

Substance light entities (cash boxes)

Substance light entities have been the focus of the OECD initiative on many different fronts, and substance light lenders have fallen in with the rest. As such, a lack of functionality and control over financial risk by the lender could theoretically result in a reallocation of the associated financial return.

The concepts of risk free return and risk adjusted return that were put forward by the OECD leave a lot up to interpretation, but the key theme regarding substance light entities remains clear and is already having a substantial impact on typical financing structures.

Accurate delineation of transactions

The actual behaviour of parties to a transaction has long been the focus of tax authorities. However, the explicit references made to this concept within the new OECD Guidelines could have a material impact on financial transactions. An extended application of this principle could substantially impact the arm's-length terms of various financing arrangements, covering a broad range of considerations.

The way forward

Despite varying economic views and expertise in these areas we all humbly await the new OECD guidance on financial transactions, in the hope that this will provide a global consensus and bridge the disconnect between the approaches of various tax authorities.

jacob.jpg
galumov.jpg

Christian

Jacob

George

Galumov

Christian Jacob (cjacob@deloitte.ch) and George Galumov (gegalumov@deloitte.ch)

Deloitte

Tel: +41 58 279 6391 and +41 58 279 8142

Website: www.deloitte.ch

more across site & shared bottom lb ros

More from across our site

Whether it be due to a fragmented advisory market or a rise in M&A, Italy’s frenetic hiring has not gone unnoticed by ITR’s Talent Tracker
The deal gives Azets 14 new partners and boosts its Swedish revenues to over $100 million; in other news, Svalner Atlas launched in Copenhagen
The tax technology company will be providing a free demonstration of its OTP software and offering best practice advice on whether to ‘buy or build’ on September 8
Johanes Glorinus Saragih of Indonesia’s Directorate General of Taxes outlines the nation’s delicate geopolitical situation, as it sits between a rock and a hard place with the US and pillar two
The law firm’s head of tax, trade and wealth management likens tax legislation to a complex puzzle, recommends a sturdy coffee mug, and explains why acronyms make tax cool
The global tax and accounting firm has appointed two experienced TP advisers from a New Jersey-based boutique
A lack of commitment from major jurisdictions and the associated compliance burden are obstacles facing the OECD initiative
Richard Gregg is no longer fit and proper to be a tax agent, said the TPB; in other news, MHA completed its acquisition of Baker Tilly South-East Europe
Recent Indian case law emphasises the importance of economic substance over mere legal form in evaluating tax implications, say authors from Khaitan & Co
PepsiCo was represented by PwC, while the ATO was advised by MinterEllison, an Australian-headquartered law firm
Gift this article