OT21125 - Corporation Tax Ring Fence: Transfer Pricing: Cross-ring fence transactions within a company
TIOPA10\S205
TIOPA10\S205 extends the application of the transfer pricing rules to cross-ring fence transactions within a single company. The ring fence and non-ring fence activities of a company are treated for the purposes of TIOPA10 Part4 as if they were separate businesses carried on by separate companies under common control.
Transfer pricing adjustments to cross-ring fence transactions are subject to the 바카라 사이트˜one way street바카라 사이트™ principle. They can only be made where the substitution of an arm바카라 사이트™s length price would increase ring fence profits.
For example, if a group바카라 사이트™s head office services are charged out to its ring fence business at cost then TIOPA10 Part 4 cannot be invoked by the company to substitute a higher arm바카라 사이트™s length price that would reduce its ring fence profits for tax purposes.