INTM503200 - Cash pooling: risk assessment/compliance checks

In order to understand the cash pooling arrangement of a particular customer, the CCM or caseworker should identify whether there is a cash pool, what the role of the UK entities are within the cash pool (depositor, borrower, cash pool header, etc.), and how rates are set.

The existence of a cash pool is sometimes disclosed in the statutory accounts of the UK companies.

When reviewing the statutory accounts of a depositor, particular attention should be paid to the following:

  • The Director바카라 사이트s Report, regarding the activities of the company and its risks;
  • The note on 바카라 사이트Interest Receivable and Similar Income바카라 사이트;
  • The 바카라 사이트Amounts owed by fellow group undertakings바카라 사이트 under the 바카라 사이트Debtors바카라 사이트 note;
  • If the company is the cash pool header, consideration of the margin made on its activities.

If the figure for 바카라 사이트Amounts owed by fellow group undertakings바카라 사이트 is high for both the current year and the previous year, and the interest receivable is relatively low, there could potentially be a TP risk on long term deposits. However, that alone is not enough to conclude that there is a TP issue on a cash pool arrangement; further information is required. The OECD Transfer Pricing Guidelines at Paragraph 3.82 sets out what supporting documentation and contemporaneous analysis should have been prepared, depending on the size of the transaction, complexity, etc.

Key information and documents required where the UK is a depositor include:

  • A reconciliation of the intercompany debtor balances which make up the 바카라 사이트Amounts owed by fellow group undertakings바카라 사이트. For each of the balances:
    • The nature of the deposit (purpose and term);
    • Which legal entity the arrangement is with (overseas or UK), and location of the cash pool header if applicable;
    • The interest rate received on any balance (if any); and
    • The extent to which the balance fluctuates during the year.
  • Transfer pricing documentation prepared to support the intercompany transactions relating to the cash pool.
  • The legal agreements both with the third party bank, and between the cash pool header and the cash pool participant.
  • Even if the cash pool header is not in the UK, consideration of UK members of the pool will still necessitate an understanding of the function of the header.