THE
MINISTRY OF FINANCE
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SOCIALIST
REPUBLIC OF VIET NAM
Independence - Freedom - Happiness
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No.
66/2010/TT-BTC
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Hanoi,
April 22, 2010
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CIRCULAR
GUIDING THE DETERMINATION OF MARKET PRICES IN BUSINESS
TRANSACTIONS BETWEEN ASSOCIATED PARTIES
Pursuant to June 3, 200S Law
No. 14/2008/ QH12 on Enterprise Income Tax;
Pursuant to November 29, 2006 Law No. 78/ 2006/QIIII on Tax Administration;
Pursuant to the Government's Decree No. 124/2008/ND-CP of December II, 2008,
detailing the implementation of a number of articles of the Law on Enterprise
Income Tax;
Pursuant to the Government's Decree No. 85/ 2007/ND-CP of June 7, 2007.
detailing the implementation of a number of articles of the Law on Tax
Administration;
Pursuant to the Government's Decree No. 118/2008/ND C P of November 2 7. 2008.
defining the functions, tasks, powers and organizational structure of the
Ministry of Finance,
The Ministry of Finance guides the implementation of provisions on the
determination of market prices in business transactions between associated
parties, serving as a basis for determining enterprise income tax liabilities
of business establishments, as follows:
Part A
GENERAL PROVISIONS
Article 1.
Subjects of application:
Organizations producing and/or
trading in goods and/or providing services (below collectively referred to as
enterprises) and having business transactions with associated parties are
obliged to declare and determine their enterprise income tax liabilities in
Vietnam.
Article 2.
Scope of application
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Article 3.
Interpretation of terms:
1. Market price means the price
of products objectively agreed upon in a business transaction on the market
between non-associated parties (also called independent parties).
2. Product collectively refers
to goods or services that are objects of business transactions.
3. Buying price or selling price
is used to collectively refer to the price in transactions of buying, selling,
exchanging, renting, leasing, delivering or transferring products.
4. Parties shall be considered
parties having associated relations (below collective!) referred to as
associated parties) in any of the following cases:
4.1. One party directly or
indirectly participates in the management or control of, contribution of
capital to. or investment in any form, in the other party;
4.2 The parties are directly or
indirectly subject to the management or control of, contribution of capital to.
or investment in any form, by another party;
4.3 The parties directly or
indirectly participate in the management or control of, contribution of capital
to, or investment in any form in. another party.
Normally, two enterprises shall
be considered associated in a tax period if during such period:
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b/ A third party directly or
indirectly holds at least 20% of investment capital of the owners of both
enterprises; or.
c/ Both enterprises directly or
indirectly hold at least 20% of investment capital of the owner of a third
party: or.
d/ One enterprise is the biggest
shareholder regarding investment capital of the owner of the other enterprise,
directly or indirectly holding at least 10% of investment capital of the owner
of the other enterprise; or.
e/ One enterprise guarantees or
gives to the other enterprise loans in any form on the condition that such
loans account for at least 20% of investment capital of the owner of the
borrowing enterprise and account for over 50% of the total value of medium-term
and long-term loans of the borrowing enterprise; or.
f/ More than 50% of total
members of the board of executive directors or total members of the control
board of one enterprise are appointed by the other enterprise or one executive
director or one member of the control board of one enterprise who has power to
decide on financial policies or business activities of the other enterprise is
appointed by the other enterprise; or.
g/ More than 50% of members of
the board of directors or a member of the board of directors who has power to
decide on financial policies or business activities of each of the two
enterprises are appointed by the same third party: or.
h/ The two enterprises are
managed or controlled in personnel, financial and business affairs by
individuals being members of a family who have relations between husband and
wife, parent and child (regardless of natural, adopted children or
children-in-law); siblings of the same parent (regardless of natural or
adoptive parent); grandparent and grandchild of the same blood line; aunt or
uncle and niece or nephew of the same blood line; or.
i/ The two enterprises have the
relationship of head office and resident establishment or are resident
establishments of the same foreign organization or individual; or,
j/ One enterprise manufactures
or trades in products using intangible assets and/or intellectual property
rights of the other enterprise for which it has to make a payment accounting
for over 50% of the historical cost (or cost price) of such products; or.
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l/ Over 50% of products
(calculated for each kind of product) sold by one enterprise is directly or
indirectly controlled by the other enterprise: or.
m/ The two enterprises have
reached a business cooperation agreement on a contractual basis.
5. Associated transaction means
a business dealing between associated parties.
6. Uncontrolled transaction
means a business dealing between non-associated parties.
7. Material difference means the
difference in information or data increasing or decreasing at least 1% of the
product price of a transaction or at least 0.5% of the gross profit ratio or
profitability ratio.
Example I: Enterprise V. an
enterprise with 100% foreign capital located in province X, Vietnam, has 2
transactions:
(i) Selling 2.000 products lo
independent enterprise A at the selling price which is the total cost (Z) plus
(+) 6% Z on the condition that it delivers goods at enterprise V; and
(ii) Selling 2,000 products
to its parent company at the CIF price of Z +6% Z on the condition that it
delivers goods to country II and with the freight and insurance cost from
province X to country H of 3% Z. At the same time, the parent company agrees to
guaranty a loan borrowed by enterprise V from bank N. In fact, the guarantee
for this loan is a pledge of trust (no guarantee charge is required).
In the above-said
transactions:
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- The difference of guarantee
is not considered material as the pledge of trust is free of charge.
8. Market price range means a
combination of values of prices, gross profit ratios or profitability ratios of
products, which are determined from uncontrolled transactions selected for
comparison.
9. Databases of tax offices
means information and data related to the determination of tax liabilities of
enterprises which are collected, analyzed, stored, updated and managed by tax
offices from various sources.
Part B
GUIDELINES ON THE
DETERMINATION OF MARKET PRICES IN ASSOCIATED TRANSACTIONS
Product prices in associated
transactions prescribed in this Circular shall be determined on the basis of
market prices through comparing similarities between associated transactions
and uncontrolled transactions (below referred to as comparability analysis) so
as to select the most appropriate method for price determination.
Article 4.
Comparability analysis
1. Principles
1.1. Comparison between an
associated transaction and an uncontrolled transaction is understood as the
comparison between an associated transaction and an uncontrolled transaction or
between an enterprise conducting associated transactions and an enterprise
conducting uncontrolled transactions. Comparison shall be made on the basis of
selecting and analyzing reliable data, vouchers and documents related to
uncontrolled and associated transactions conducted in the same period for use
for tax declaration and calculation purposes under the accounting,
statistics and taxation laws.
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- Comparing the transaction
of purchasing motorcycles for sale by enterprise A with the similar transaction
of enterprise B.
- Comparing enterprise A with
enterprise B in the retail of motorcycles.
1.2. Uncontrolled transactions
selected for comparison are those selected from uncontrolled transactions which
have transaction characteristics and circumstances (below collectively referred
to as transaction conditions) similar to associated transactions. Then, product
prices in uncontrolled transactions selected for comparison shall be used as a
basis for determining product prices in associated transactions by price
determination methods specified in Article 5. Part B of this Circular.
1.3. When comparing associated
transactions with uncontrolled transactions, the transaction conditions of
these associated and uncontrolled transactions are not necessarily identical
but must be comparable and have no differences which materially affect product
prices. If the transaction conditions of associated transactions and
uncontrolled transactions have any material differences, enterprises shall
reflect them in pecuniary value so that they can adjust and eliminate these
material differences. The comparability determination in comparing associated
transactions with uncontrolled ones and the elimination of differences comply
with the provisions of Clause 2. Article 4, Part B of this Circular.
1.4. The comparison between
associated and uncontrolled transactions shall be made on the basis of each
transaction in a specific kind of product. However, in case transactions cannot
be separated or the separation of each transaction in each kind of product is
not suitable to the practice of business, enterprises may aggregate many of the
following transactions into a single transaction:
1.4.1. Transactions which are
closely related and interdependent, such as transactions conducted on the basis
of contracts of provision of goods and services under which services constitute
an integral part of the contracts; continuous transactions such as the supply
or licensing of the rights to use intangible assets associated with the supply
of raw materials, materials and semi-finished products for the production or
processing of finished products:
1.4.2. Transactions in products
which have gone through the same production process and used the same principal
raw materials and materials, or those of the same group or heading according to
the criteria for grouping goods and services prescribed in the statistical list
of goods and services promulgated by competent state agencies, when analyzing
and comparing the criterion of functions performed by enterprises.
Example 3: Trading enterprise
A imports 3 goods items X, Y and Z from an associated party based in a foreign
country for distribution to domestic supermarkets. These three goods items
belong to the group of thermal equipment for domestic use (according to
Vietnam's statistical criteria).
In case the separation of
transactions by goods item X, Y or Z is not suitable to the practice of
business, enterprise A may aggregate the transaction values of these three
goods items for the application of the most appropriate price determination
method.
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1.4.4. Uncontrolled and
associated transactions carried out by a particular enterprise to each of which
revenue or related expenses cannot be reasonably apportioned. In this case, the
aggregated transaction shall be treated as an associated one and the price of
products in this aggregated transaction is the highest price of one of related
products (for selling transactions) or the lowest price of one of related
products (for buying transactions).
Example 4: Enterprise A has 2
contracts:
(i) Contract I: on the
provision of the quality supervision service to an associated party being
company B; and
(ii) Contract 2: on the
provision of the quality supervision service and the licensing of a patent to
independent company C. in which the revenue from the licensing of the patent is
5 times that from the provision of the quality supervision service, calculated
on the basis of the unit price of products.
Assume that the quality
supervision services under contract I and contract 2 meet all conditions for
comparison.
- In case enterprise A does
not separate revenues (or expenses) related to the performance of these two
contracts (covering 3 separate transactions in 2 kinds of product), the total
revenue of enterprise A shall be considered revenue from an associated transaction
and, depending on the provisions on each market value determination method in
this Circular, and the enterprise shall re-determine its revenue corresponding
to the highest price of the product being copyright.
- In case enterprise A
separates revenues (or expenses) related to the performance of these two
contracts, its revenue from contract I shall correspond to the price of the
service provided under contract 2.
1.5. When selecting uncontrolled
transactions for comparison, enterprises shall give priority to their own
uncontrolled transactions, provided that these uncontrolled transactions are
not created or arranged from their associated transactions.
Example 5: Foreign-based
company M has established manufacturing enterprise A in Vietnam. Enterprise A
has two transactions:
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(ii) Selling 2.000 products
to independent customer MI at the price of USD 0.4 per product under a contract
negotiated and signed directly by parent company M with the customer under
which enterprise A is designated to deliver the goods to the customer. The
proceeds from the sale is directly paid by company M or by customer Ml to
enterprise A.
Comparability analysis:
- Transaction (i) shall be
regarded as an uncontrolled transaction of enterprise A;
- Transaction (ii) shall not
be regarded as an uncontrolled transaction of enterprise A because, though
products are delivered from enterprise A's warehouse and sent to custom Ml, and
enterprise A and customer Ml are not associated parties, the contract
negotiation and signing and payment was joined in and controlled by the parent
company.
1.6. The minimum quantity of
uncontrolled transactions selected for comparison after comparability analysis
and adjustment of material differences are made is as follows:
1.6.1. One transaction - in case
there is no difference between an uncontrolled transaction and an associated
transaction; or
1.6.2 Three transactions - in
case there are differences between an independent transaction and an associated
transaction but enterprises have sufficient information and data for
eliminating all material differences: or,
1.6.3. Four transactions - in
case there are differences between an uncontrolled transaction and an
associated transaction but enterprises only have information and data for
eliminating most material differences. In this case, the further elimination of
other differences must follow the guidance on the standard market price range
at Point 1.2, Clause 1. Article 5, Part B of this Circular.
This provision is not
compulsorily applicable to enterprises which apply the profit split method, the
first method guided at Item 2.5.2.1. Point 2.5, Clause 2, Article 5, Part B of
this Circular.
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2.
Comparability analysis and elimination of differences
2.1. When comparing uncontrolled
transactions selected for comparison with associated ones, enterprises shall
analyze and assess affecting criteria and adjust material differences (if any)
so as to clarify their similarities according to the following four criteria
(below referred to as four affecting criteria):
2.1.1. Product characteristics:
include characteristics substantially affecting the product price. Factors
reflecting product characteristics mainly include:
a/ Kind of products (describing
the characteristic of product, namely tangible goods, copyright, technological
know-how or service, etc.) and physical characteristic of product (component
materials, mechanical, physic, chemical characteristics, etc.);
b/ Quality and trademark of
products:
c/ Nature of transfer of
products (for example: conditional or unconditional purchase/sale, such as
exclusive distribution, licensing, franchising, etc.).
Example 6: Enterprise A, an
independent enterprise, produces assorted cotton towels (100 % cotton),
including grade-A cotton towels of 120 cm x 60 cm size.
Company M, a Vietnam-based
subsidiary company with 100% foreign capital, produces assorted cotton towels
(100% cotton), including grade-A cotton towels of 121 cm x 60 cm size for sale
(export) to its parent company based in a foreign country.
Assume that other factors
reflecting the characteristics of these two products of companies A and M are
comparable.
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Cotton products of enterprise
A and company M are considered those with comparable product characteristics (the
difference of 1 cm in length is considered immaterial).
2.1.2. Operational functions
performed by enterprises, covering factors reflecting the profitability of
activities carried out by enterprises and associated with the use of assets.
capital and related expenses. When analyzing operational functions (below
referred to as functions), enterprises shall reflect their principal functions
in the relationship between the use of assets, capital, expenses as well as
assumption of risks connected with the investment of such assets, capital and
expenses and the profitability associated with the business transactions. The
principal functions of enterprises mainly include:
a/ Research and development;
b/ Designing and development of
product models:
c/ Production, manufacture,
processing:
d/ Processing, assembly,
installation of equipment;
e/ Distribution, circulation,
marketing, advertisement;
f/ Management and provision of
supplies:
g/ Transport, forwarding and
warehousing services;
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Example 7(a): Company N, a
Vietnam-based associated party of multinational X, has some information as
follows:
- Company N manufactures
drugs on a production line invested by itself and under a copyright granted by
a company of multinational X;
- It sells (exports) drugs to
multinational X under contracts signed at the beginning of the year;
- It does not research and
develop any products.
When comparing the associated
transaction (with multinational X) and an uncontrolled transaction, company N
conducts comparability analysis of the functions with an independent enterprise
which has a function similar to that of company N in order to eliminate
differences. Because manufacture of drugs is normally connected with research
and development of new products, if the selected independent enterprise has the
R&D function, company N shall eliminate this difference.
Example 7 (b): Using the
facts in example 7 (a) above, assume that company N, apart from producing and
trading in drugs, also acts as an agent for import and distribution in Vietnam
of pharmaceuticals for its parent multinational X.
This agency activity is an
additional function performed by company N for which it incurs expenses and
assumes risk. It is an associated transaction of company N. In this case,
company N shall determine and calculate the commission it has received for the
provision of the agency service on the basis of the market price determination
methods specified in Clause 2, Article 5, Part B of this Circular.
Example 8: Company M, a
multinational based in a foreign country, has a transaction of wholesaling cell
phones T which are up to international standards and have been registered in
Vietnam to company A, an associated party, and company B, an independent
company.
Company A distributes and
retails cell phones T, grants warranty cards for each cell phone sold and
directly provides the warranty service.
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In comparing the associated
transaction (between A and M) and the independent transaction, company A shall
conduct comparability analysis of the functions between company A and company B
and eliminate differences:
- There is a difference between
the operational functions performed by the two companies, namely the provision
of the warranty service, in that company A performs more functions, uses more
resources and has a higher profitability than company B.
- Company A shall adjust the
product warranty function by eliminating its actual expenses and revenues
connected with the provision of the warranty service.
- In case the
"warranty" function is performed just several times with negligible
(i.e. immaterial) expenses and revenues, it is not necessary to adjust this
difference.
2.1.3. Contractual terms of
transactions, covering provisions or binding agreements on the responsibilities
and interests of the parties to business transactions. Contractual terms of
transactions (below referred to as contractual terms) mainly cover:
a/ The quantity and delivery or
distribution conditions of products:
b/ The time, conditions and mode
of payment:
c/ Conditions of warranty,
replacement, upgrading, repair or adjustment of products:
d/ Conditions of exclusive
business rights, distribution of products:
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In all cases (with or without
written contracts), the bases for identifying contractual terms are factual
events or financial and economic data reflecting the character of transactions.
2.1.4. Economic conditions of
transactions, including factors concerning economic conditions on the market at
the time of performance of transactions, which affect product prices. Economic
conditions of transactions (below referred to as economic conditions) mainly
include:
a/ The size and geographical
position of the product production or sale market:
b/ The time and character of
transactions on the market (for example: normal transactions of wholesale and
retail, exclusive distribution, market segmentation by product consumers):
c/ The competitiveness of
products on the market;
d/ Economic factors affecting
production and business costs incurred at the place of transactions (e.g..
taxes, charges, financial preferences):
e/ The State's market regulation
policies.
2.2. The order of priority in
conducting comparability analysis of the four affecting criteria stated at
Items from 2.1.1 to 2.1.4. Point 2.1. Clause 2. Article 4. Part B of this
Circular is prescribed for each method of price determination specified in
Article 5, Part B of this Circular. In the course of analysis, detailed analysis
is required for priority criteria; for complementary criteria, analysis may not
be necessarily detailed but must fully reflect the basic characteristics of
these criteria.
Example 9: Assume that
Vietnamese company M (a subsidiary company of international, company M) deals
in products X which are of class-1 quality and have been registered in Vietnam.
In the year 200.x, the company managed to select uncontrolled transaction A
(between Vietnamese company M and an independent party) as a basis for
comparison with associated transaction B (between Vietnamese company M and
international company M), and these two transactions had the same selling unit
price of USD 3.
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(i) Product characteristics:
alike (because all products are produced by Vietnamese company M);
(ii) Operational functions:
alike (functions of Vietnamese company M);
(Hi) Contractual terms:
Assume that this criterion of two transactions is the same, with the exception
that the delivery condition in transaction A is at company M !s warehouse while
in transaction B it is at port X of country Y and the freight from Vietnam to
country A is USD 0.5/product incurred by company M.
(iv) Economic conditions:
Assume that this criterion does not affect the product price (for example:
country Y has no policy to control the price of product X, the sale condition
in the two transactions is wholesale, and the buyer will pay tax and cany out
procedures for import of product X into country Y).
Thus, the price comparison
shows that the price in transaction B is not similar to that in transaction A
(there is a difference of USD 0.5/ product).
In this case, Vietnamese
company M will select the most appropriate price of USD 3.5/ product for
ensuring the declaration and calculation of tax on revenue from product X in
transaction B (instead of the price of USD 3).
2.3. When conducting
comparability analysis, enterprises shall identify material differences in the
transaction conditions between associated and uncontrolled transactions. In
case there exist no material difference, they shall not have to comply with the
provisions of Point 2.4. Clause 2. Part B of this Circular.
2.4. In case there exist
material differences, enterprises shall determine the pecuniary value of these
differences so as to increase or reduce, on a case-by-case basis, the value to
eliminate these differences.
In case there exists a material
difference in the operational functions of enterprises, adjustment shall be
made on the following principles:
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b/ If expense or revenue items
related to the difference are not separately accounted, adjustment shall be
made on the basis of apportionment to determine the portions of relevant
expense or revenue related to such difference.
Example 10: Assume that there
are two transactions of companies A and B which both perform the service of
processing garment products. While company A processes products and delivers
them at its warehouse, company B processes products and carries out procedures
for export abroad.
Thus, when comparing the
function of processing products of companies A and B, it is found that company
B performs an additional function of "carrying out export procedures.
" This difference will be separated by accounting or apportioning in
proportion to total expenses or revenues arising from the carrying out of
export procedures so as to ensure the comparison of business efficiency based
on the comparable product-processing functions of company A and company B.
In case company B performed
the function of "carrying out export procedures" just several times
at the request of customers, involving negligible (immaterial) expense or
revenue, it is not necessary to adjust this difference.
Article 5.
Market price determination methods
The methods of determining
market prices of products in associated transactions specified at Clause 2.
Article 5, Part B of this Circular include:
- The comparable uncontrolled
transaction price method;
- The resale price method;
- The cost plus method;
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- The profit split method-
Depending on each of these methods,
the market price of products may be used as a basis for directly calculating
the unit price of products or indirectly through the gross profit ratio or
profitability ratio of products. However, for the methods of indirect price
calculation, it is not necessary to calculate specific unit prices when
determining business results for enterprise income tax declaration and
calculation purposes.
1. Principle
of application of market price determination methods
1.1 The most appropriate price
determination method is the method selected from the aforesaid five methods
which is suitable to transaction conditions and has the most sufficient and
reliable information, data and figures for comparability analysis.
1.2 Enterprises may select by
themselves the most appropriate value among the values of the standard market
price range as a basis for adjusting the corresponding value of associated
transact tions. In case the product price in associated transactions is
different from this most appropriate value but this does not reduce the income
subject to enterprise income tax. enterprises are not required to make any
adjustment.
1.2.1. The most appropriate
value is the value reflecting the highest similarity of transaction conditions
of uncontrolled transactions selected for comparison with associated
transactions.
1.2.2. The standard market price
range covers:
a/ The values computed from
uncontrolled transactions selected for comparison stated at Items 1.6.1 and
1.6.2. Point 1.6. Clause 1. Article 4. Part B of this Circular:
b/ The values falling within the
range from the first quartile to the third quartile of the quartile statistical
probability operation or the values falling within the range of the 25"'
percentile to the 75Ul percentile of the percentile statistical probability
operation computed on the basis of the market price range of uncontrolled
transactions selected for comparison stated at Item 1.6.3. Point 1.6. Clause 1,
Article 4. Part B of this Circular (See Appendix 2-GCN/CC. not printed herein).
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- It is a subsidiary company
producing and processing products for its parent company and it shall pay a
royalty to another subsidiary company within the group an expense of N%/ year
of net revenue in four periodical installments every year.
- Enterprise V selected 13
uncontrolled transactions for comparison with data on the royalty-net revenue
ratios (7c) of these transactions, which are 1: 1.25; 1.25; 1.5; 1.5; 1.75; 2;
2; 2; 2.25; 2.5; 2.75; and 3.
- The comparability analysis
shows that material differences have been reasonably adjusted and eliminated.
Particularly, there is a difference in the payment time limit which may affect
the value of the royalty but available information is insufficient for
conversion of such difference into money for adjustment.
- The enterprise shall apply
the quartile statistical function and select the first and third quartiles for
determining the standard range of 1.5-2.25, with the standard range's median
number (the median number of the second quartile) being 2.
Adjustment of declared data:
In case enterprise V has the
royalty-net revenue ratio of 2.1%, then it is not required to readjust the
declared data on the royalty which is deductible when calculating enterprise
income tax.
In case enterprise V has the
royalty-net revenue ratio of 4%. and at the same time, enterprise V finds that
the transaction with the royalty ratio of 2% has transaction conditions closest
to its transaction, it shall adjust the declared data on the royalty which is
deductible when calculating enterprise income tax by a corresponding level of
2%.
1.3. In case enterprises have
applied the market price determination methods specified in this Circular but a
force majeure event, such as a natural calamity or fire, occurred in the
year, affecting the production or business situation or the buying or selling
price was affected by the State's policies or regulatory regimes, they may
adjust the prices of products which were affected by the practical situation.
2. Market
price determination methods
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2.1.1. The comparable
uncontrolled transaction price method is based on the unit price of products in
an uncontrolled transaction for determining the unit price of products in an
associated transaction when these transactions have comparable conditions.
2.1.2. The unit price of
products in an associated transaction shall be compared with the most
appropriate value falling within the standard range of market prices based on
the unit price of products for making adjustments in compliance with the
principles specified at Point 1.2. Clause 1, Article 5. Part B of this
Circular.
2.1.3. For this method, when
conducting comparability analysis of the four affecting criteria as guided in
Article 4, Part B of this Circular, the priority criteria are product
characteristics and contractual terms while the complementary factors are
economic conditions and functions performed by the enterprise concerned.
2.1.4. The comparable
uncontrolled transaction price method shall be applied on the conditions that:
a/ There is no difference in
transaction conditions which materially affects the price of product, when
comparing the uncontrolled transaction with the associated transaction; or
b/There are differences
materially affecting the price of products but these differences have been
eliminated under the guidance in Article 4. Part B of this Circular.
2.1.5. Factors materially
affecting the price of products include:
a/ Physical characteristics,
quality and trademark of products;
b/ Contractual terms on the
provision and delivery of products, e.g., volume (if affecting the price
level), time of delivery of products, time of payment;
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d/The market in which the
transaction takes place.
2.1.6. The comparable
uncontrolled transaction price method shall normally apply to the following
cases:
a/ Separate transactions in each
kind of goods circulated on the market;
b/ Separate transactions in each
form of service, copyright or loan contract;
c/ The enterprise conducts both
uncontrolled and associated transactions in the same kind of goods.
Example 12: Company V, a
Vietnam-based enterprise with 100% capital invested by foreign company S, is
engaged in processing textile and garment products. In the year 200x, it had
two transactions of processing trousers of cat. 347 as follows:
- Transaction 1: Processing
for parent company S 1,000 dozens of trousers at the price of USD 60/dozen and
delivering the goods at port X in Vietnam (S will he responsible for exporting
them).
- Transaction 2: Processing
for country N 's company M 1,000 dozens of trousers at the price of USD
100/dozen and delivering the goods in city Y of country N.
Assume that:
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- These two transactions are
comparable in transaction conditions, except a material difference which is the
freight and insurance cost of USD 3/dozenfor the delivery of the goods from
port X to city Yof country N.
Comparability analysis:.
- In comparing transaction I
(associated transaction) with transaction 2 (uncontrolled transaction), it is
found that transaction I did not accurately reflect the market price.
Therefore, company V shall adjust the revenue from the transaction with company
S as follows:
(USD WO - USD 3) x 1,000 =
USD 97,000.
- Company V shall declare the
processing charge received from company S being USD 97,000, instead of USD
60,000.
2.2. The resale price method
2.1.1. The resale price method
is based on the resale price (or selling price) at which products are sold by
an enterprise to an independent party for determining the price (cost) at which
these products are bought from the associated party.
2.2.2. The price at which
products are bought from an associated party is determined by subtracting (-)
from the price at which products are sold in the uncontrolled transaction the
gross profit and other expenses (if any) included in the price at which the products
are bought (e.g., import tax. customs charge, international insurance and
freight).
2.2.2.1. The gross profit is
calculated according to the gross profit-selling price (net revenue) ratio and
the selling price (net revenue), reflecting the value collected b\ the
enterprise to offset business expenses and earn a reasonable profit margin.
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2.2.2.2. In case the enterprise
performs the function of a distribution agent having no ownership over products
and enjoying an agency commission expressed as a percentage (%) of the selling
price of products, this percentage shall be regarded as the gross
profit-selling price (net revenue) ratio. (See Appendix 2-GC'N/CC, not printed
herein).
2.2.3. The gross profit-selling
price (net revenue) ratio of the associated transaction shall be compared with
the most appropriate value within the standard range of market prices based on
the gross profit ratio for making adjustments in compliance with the principles
provided for at Item 1.2. Clause 1. Article 5. Part B of this Circular.
2.2.4. For this method, in
making comparability analysis of the four criteria as guided in Article 4. Part
B of this Circular, the priority criterion is functions performed by
enterprises and the complementary criteria are contractual terms, product
characteristics and economic conditions.
2.2.5. The resale price method
shall be applied on either of the following conditions:
a/ There is no difference in
transaction conditions which materially affects the ratio of gross profit to
resale price (net revenue), when comparing the uncontrolled transaction with
the associated transaction: or
b/ There are differences
materially affecting the gross profit- selling price (net revenue) ratio,
which, however, have been eliminated under the guidance in Article 4. Part B of
this Circular.
2.2.6. The factors which materially
affect the gross profit-selling price (net revenue) ratio normally include:
a/ Expenses reflecting the
functions performed by enterprises (e.g.. sole distribution agency,
implementation of advertisement, sales promotion or warranty program, etc.):
b/ Kind, size, volume and
turnover cycle of products bought for resale, and the operational
characteristics of the transaction on the market (e.g.. wholesale, retail,
etc.):
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2.2.7. The resale price method
is often applied to transactions in products at the stage of
provision of simple services and commercial distribution with short turnover
cycles from the time of purchase to the time of resale and less affected by
seasonability. At the same time, before resale, products are not added with
substantial value due to processing, assembly or alteration of characteristics
or labeling.
Example 13: Enterprise V, a
Vietnam-based associated party of foreign company H, deals in the distribution
of watches supplied by company H has the following information:
- In the year 200.x, company H
delivered to enterprise V 1,000 watches and requested enterprise V to pay an
amount of USD 330,000 (inclusive of VIF price and tax: import tax was paid by
company H).
- At the end of the year, the
net revenue earned by enterprise V from the sale of all of these watches to
consumers in Vietnam was USD 400,000.
- Enterprise T, an
independent enterprise in Vietnam, also deals in the distribution of watches.
Enterprise T's gross profit ratio for the year200x was 20%.
Assume that enterprise T is
eligible for being selected for comparison of the gross profit ratio with
enterprise V. Enterprise V shall declare deductible reasonable expenses for the
purchase of watches from company H as follows:
[USD 400.000 - (USD 400,000 x
20%)] = USD 320,000
Enterprise V may only deduct
reasonable expenses from the cost of goods of USD 320,000, instead of the
payable amount of USD 330,000.
In case company 11 also
provides the goods sale consultancy service and requests enterprise V to make a
payment for this service (allowed to be accounted as sale expense), this
transaction shall be separated and one of the transaction price determination
methods stated in this Circular must be used to determine reasonable expenses
deductible for this service.
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2.3.1. The cost plus method is
based on the cost (or cost price) of products for determining the selling price
at which such products are sold to an associated party.
2.3.2. The selling price at
which products are sold to an associated party shall be the cost (or cost
price) of products plus (+) the gross profit.
2.3.2.1. The gross profit shall
be calculated on the basis of the gross profit-cost (cost price) ratio and the
cost (or cost price), reflecting the reasonable profit corresponding lo the
functions performed by enterprises and market conditions.
The gross profit-cost (cost
price) ratio shall be the value difference between the net revenue and cost
(cost price) of products divided (:) by the cost or (cost price). The cost (or
cost price) of products includes direct and indirect production expenses but
does not include financial activity expenses (e.g.. royalty and loan interest
expenses, etc.).
In case an enterprise is unable
to separately account the cost (or cost price), sale expenses and general
management expenses, the cost (or cost price) of products used as a basis for
calculating the gross profit shall include all of these expenses.
2.3.2.2. In case an enterprise
performs the function of product purchase agency, having no ownership over
products and enjoying agency commissions expressed as a percentage (%) of
product purchase expenses, this percentage shall be considered the gross
profit-cost ratio. (See Appendix 2- GCN/CC - not primed herein).
2.3.3. The gross profit-cost
(cost price) ratio of the associated transaction shall be compared with the
most appropriate value falling within the standard range of market prices based
on the gross profit-cost (cost price) ratio for making adjustments in
compliance with the principles prescribed at Point 1.2. Clause 1. Article 5,
Part B of this Circular.
2.3.4. For this method, when
conducting comparability analysis of the four affecting criteria as guided in
Article 4, Part B of this Circular, the priority criterion is functions
performed by enterprises and the complementary criteria are contractual terms,
product characteristics and economic conditions.
2.3.5. The cost plus method
shall apply on the condition that:
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b/ There are differences
materially affecting the gross profit-cost (cost price) ratio, which have,
however, been eliminated under the guidance in Article 4. Part B of this
Circular.
2.3.6. Factors materially
affecting the gross profit-cost (cost price) ratio normally include:
a/ Expenses reflecting the
functions performed by the enterprise (e.g.. production under contracts,
research and development of new products, the proportion of added value to
investment or business scope):
b/ Obligations lo perform the
contract (e.g.. time of delivery of products, quality control and storage
expenses, payment conditions):
c/ Accounting methods (ensuring that
the components of the cost (or cost price) of the associated and uncontrolled
transactions are similar or applied with the same accounting standards).
2.3.7. The cost plus method
shall normally apply to the following cases:
a/ Transactions at the stage of
production, assembly, manufacture or processing of products for sale to
associated parties;
b/ Transactions between
associated parties to perform partnership or business cooperation contracts to
produce, assemble, manufacture or process products, or agreements on the supply
of input elements for production and factoring of output products;
c/ Transactions of provision of
services for associated parties.
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- Net revenue (processing
charge): VND 15 billion
- Cost of goods sold: VND 13
billion
- Sale and enterprise
management expense: VND 1.8 billion.
Assume that:
- There are some other
independent enterprises also producing and processing shoes for foreign
organizations and individuals and receiving a processing charge being the sum
of total cost (= cost of goods sold + enterprise management expense + sale
expense) and 7% of total cost.
- The independent
transactions of these enterprises are eligible for being selected for
comparison with transactions of enterprise A.
In this case, revenue from
the processing of shoes shall be re-determined as follows: (13 billion + h.8
billion) + [7% x (13 billion + 1.8 billion)/ = VND 15.836 billion.
Thus, enterprise A shall
declare its revenue of VND 15.836 billion, instead of the previous-figure of
VND 15 billion.
2.3.8. The cost plus method may
be applied to re-determining the cost (or cost price) involving elements of an
associated transaction of an enterprise based on the price of goods sold
already determined on the basis of the market price and the gross profit-cost
(cost price) ratio.
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- Transaction 1: 60 tons,
sold to another subsidiary company of group P at the FOB price of USD 650/nm.
- Transaction 2: 40 tons,
sold to domestic supermarkets at the VAT-exclusive price of USD 700/ton.
The enterprise s accounting
records reflect the following figures in the period:
- Net revenue: USD 67.000
- Total cost: USD 65,000
Assume that:
- Transactions 1 and 2 meet
all conditions for enterprise V to apply the method of comparison of
independent market prices.
- The gross profit-total cost
ratio of independent enterprises engaged in producing household detergents is
15%.
Enterprise V shall declare
its revenue and expenses for calculation of enterprise income tax as follows:
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USD 700x 60 tons = USD 42.000
- Re-determining the net
revenue:
USD 42.000 + USD 700 x 40
tons = USD 70.000
- Readjusting the total cost:
USD 70.000/(1 + 0.15) = USD
60.870
Thus, enterprise V shall
declare and pay tax on the basis of the net revenue of USD 70.000 instead of the
previous figure of USD 67.000. and total cost of USD 60.870 instead of the previous
figure of USD 65.000.
2.4. The comparable profit
method
2.4.1. The comparable profit
method shall be based on the profitability ratio of products in an uncontrolled
transaction selected for comparison, serving as a basis for determining the
profitability ratio of products in an associated transaction when these
transactions have similar transaction conditions.
2.4.2. The profitability ratios
are calculated by dividing net pre-enterprise income tax profit (income) by net
revenue, expenses or assets of production and business activities according to
the regulations of the regime of accounting and financial statements. Net
pre-enterprise income tax profit (income) may be added (+) with loan interests
or fixed asset depreciations for determining the production and business
efficiency before payment of these expenses. Profitability ratios often used
include:
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Example 16: Enterprise L
operates in the domain of manufacture and assembly of 4-seat cars of marks N
and S:
- Cars of mark N are sold to
independent parties.
- Cars of mark S are all sold
to enterprise LI, a company with 100% capital invested by enterprise L
- All purchasing transactions
for the manufacture and assembly of cars of the aforesaid two marks are
uncontrolled ones.
In the year 200x, enterprise
L's accounting statistics were as follows:
+ Net revenue from the sale
of cars of mark N was USD 18,000 (an uncontrolled transaction)
+ Net pre-tax profit from the
sale of cars of mark N was USD 2,000
+ Net revenue from the sale
of cars of mark S was USD 25,000 (an associated transaction)
+ Net pre-tax profit from the
sale of cars of mark N was USD 1,800
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The ratio of net
pre-enterprise income tax profit to net revenue for cars of mark N: 2,000/
18,000 x 100%= 11.1%
The ratio of net
pre-enterprise income tax profit to net revenue for cars of mark S: 1,800/
25,000 x 100% = 7.2%
Assume that material
differences between two transactions of selling cars of mark N and mark S have
been adjusted so that the result of the transaction with company LI achieves
the ratio of 11.1% of net profit before enterprise income tax and before
payment of interest to net revenue. In this case, figures on the transaction of
selling cars of mark S shall be re-determined as follows:
Total cost: USD 25,000 -1,800
- 100 = USD 23,100.
Net revenue: USD 23,100/(1-
0.111) = USD 25,984.
Net pre-tax and -interest
profit: USD 25,984 - 23,100 = USD 2,884.
Net pre-tax profit: USD 2,884
- 100 = USD 2,784.
Company L shall declare the net
pre-enterprise income tax profit of USD 2.784 from the transaction of selling
cars of S mark, instead of the previous figure of USD 1.800 in the accounting
book.
2.4.2.2. The ratio of net
pre-enterprise income tax profit to total cost for production and business
activities
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Example 17: Enterprise A, a
subsidiary of company B. acts as a forwarding service agent for B. Enterprise
C, an independent enterprise, exclusively providing forwarding services (for
many independent customers). Figures on revenues and expenses of A and C are as
follows:
Unit
of calculation: USD 1,000
A
C
Total cost
1.500
2.000
Total revenue
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2.500
Assume that C meets all conditions
for being selected for comparison with A in the net pre-tax income-total cost
ratio.
- The net pre-enterprise
income tax profit-total cost ratio of A = (1,650 - 1,500): 1,500 = 10%
- The net pre-enterprise
income tax profit-total cost ratio of C = (2,500 - 2,000): 2,000 = 25%
Enterprise A shall declare
its net pre-enterprise income tar profit from the associated transaction
according to the net pre-enterprise income tax profit-total cost ratio
corresponding to that of 25% of enterprise C.
2.4.2.3. The ratio of net
pre-enterprise income tax income to assets of production and business assets.
This ratio is used only in case
enterprises have fixed assets accounting for a significant proportion in total
investment capital (e.g.. enterprises in the manufacturing or mining
industries).
The value of assets is the
median value of the balances at the beginning and the end of the period,
including fixed and liquid assets but excluding assets used for investment and
contribution of joint venture or cooperation capital (e.g.. purchase of public
bonds or shares).
Example 18:
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- V an independent company,
is specialized in producing assorted beverages. Some of its workshops produce
rice liquor, beer and other aerated beverages. In the year 200x. company V had
a pre-enterprise income tax profit-assets ratio of 7%; for the whole company
while its workshops producing rue liquor have this ratio of 7.5%.
Assume that V meets all
conditions for being selected for comparison with N in the net pre-enterprise
profit tax pro fit-assets ratio. In this case, N shall adjust taxable income
according to the net pre-enterprise income tax profit-assets ratio of 7.5%.
2.4.3. Enterprises shall select
one of the above- mentioned profitability ratios for comparing the
profitability ratios of the associated and uncontrolled transactions and may
use one or more other profitability ratios prescribed by the regime of
financial statements to verify the accuracy of the selected ratio. The
selection of profitability ratios calculated on the basis of net revenue, cost
or assets shall depend on the economic nature of transactions (see Appendix
2-GCN/CC. not printed herein).
Example 19:
- Assume that the enterprise
has an associated transaction at the stage of sale of products, it may not use
the profit-revenue ratio because the figure on revenue from the associated
transaction falls within the scope of adjustment for determining the market
price.
- Assume that the enterprise
provides service, it may not use the net pre-enterprise income tax
profit-assets ratio.
2.4.4. The profitability ratio
of the associated transaction shall be compared with the most appropriate
profitability ratio falling within the standard market price range for making
adjustments in compliance with the principles stated at Point 1.2. Clause 1.
Article 5. Part B of this Circular.
2.4.5. For this method, when
conducting comparability analysis of the four affecting criteria as guided in
Article 4. Part B of this Circular, the priority criterion is functions
performed by enterprises and the complementary criteria are contractual terms,
product characteristics and economic conditions.
2.4.6. The comparable profit
method shall be applied on the condition that:
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b/ There are differences
materially affecting the profitability ratio, which have. however. been
eliminated under the guidance in Article 4. Part B of this Circular.
2.4.7. Factors materially
affecting the profitability ratio normally include:
a/ Assets, capital and expenses
for the performance of main functions of enterprises (e.g.. producing and
processing by machines invested by enterprises may bring about a higher profit
than producing and processing by machines borrowed from other establishments);
b/ Characteristics of the
operation, group of products and stage of production or sale (e.g.. finished
products made from crude materials or raw materials or from semi-finished
products);
c/ Accounting methods and
structure of expenses of products (e.g.. products in the period of rapid
depreciation compared to routine depreciation).
2.4.8. The comparable profit
method is considered an extended version of the resale price method and the
cost plus method. Therefore, the comparable profit method is widely applied in
the cases cited at Items 2.2.7, Point 2.2 and Item 2.3.7. Clause 2, Article 5,
Part B of this Circular.
2.5. The profit split method
2.5.1. The profit split method
is based on the profit earned from a combined associated transaction conducted
by many associated enterprises so as to determine an appropriate profit of each
of such enterprises in such a way that the independent parties share profits in
comparable uncontrolled transactions.
A combined associated
transaction participated by many enterprises is a transaction of unique and
distinctive character, consisting of many closely interrelated associated
transaction in exclusive products or associated transactions conducted between
related associated parties.
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2.5.2.1. The first way of
calculation: To allocate the profit to each associated party on the basis of
contribution of capital (sharing of cost), by which the profit of each
participating enterprise (or party) shall be determined on the basis of
allocating the total profit earned from the combined associated transaction in
proportion to the capital (cost) used in the associated transaction of such
enterprises within the total investment capital to create end products (see
Appendix 2-GCN/CC, not printed herein).
Example 20:
Vietnam-based enterprise A
and foreign-based enterprise B have the following information:
- Both are member companies
of group T engaged in producing electronic products.
- Both participate in
producing a new product of LCD televisions.
- A is responsible for
designing and manufacturing television cabinets and picture tubes and
delivering them to B for assembly with other parts (circuits, electronic chips,
etc.) invented and manufactured by B. Finished products will then be sold to C,
an independent distributor, at the price of USD 550 per set.
- The total cost price per
product delivered by A to B is USD 300 while the cost incurred by B for further
manufacture is USD 150.
The profit allocated to A is
calculated as follows:
[(550 - (300 + 150)):450]x300
= USD 66.66
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2.5.2.2.1. The first step: To
share the basic profit: Each of enterprises (or parties) participating in the
associated transaction shall receive a portion of basic profit corresponding to
their functions. This portion reflects the value of profit of the combined
associated transaction earned by each enterprise from the performance of their
functions without taking into account unique and sole factors (e.g., exclusive
ownership or use of intangible assets or intellectual property rights).
The portion of basic profit
shall be calculated on the basis of the gross profit ratio or the profitability
ratio corresponding to the most appropriate value within the standard range of market
prices based on the gross profit ratio or profitability ratio as guided at
Points 2.2.2.3 and 2.4, Clause 2. Article 5, Part B of this Circular.
2.5.2.2.2. The second step: To
share the residual profit: Each of enterprises (or parties) participating in
the associated transaction shall further receive a portion of residual profit
corresponding to the percentage of sharing related to the total residual profit
(i.e. the total earned profit minus (-) the total basic profit already shared
at the first step) of the combined associated transaction. This portion of
residual profit reflects the profit of the combined associated transaction
earned by enterprises in addition to the portion of basic profit thanks to
unique and sole factors.
The portion of residual profit
earned by each enterprise shall be calculated by multiplying (x) the total
residual profit earned from the combined associated transaction by each
enterprise's percentage of sharing of the following expenses or assets:
a/ Expenses for product R&D:
or
b/ Value (after subtracting
depreciated amounts) of intangible assets or intellectual property rights used
for producing or dealing in products.
Expenses for product R&D or
the value of intangible assets or intellectual property rights must be determined
on the basis of market prices (using the methods prescribed in this Circular)
or actual expenses shared by each party in compliance with accounting
principles applicable to such expenses or assets.
Example 21: Companies H and M
belong to the same group manufacturing cell phones. H manufactures assemblies
while M assembles and installs software into complete cell phones for sale to
independent distributors. Accounting figures of enterprises H and M related to
the associated transaction of manufacturing cell phones are as follows:
Unit
of calculation: USD 1,000
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H
M
Net revenue
200
500
Cost of goods sold, including:
- Cost of input materials
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200
- Cost of production
50
150
R&D cost
30
50
Sale and general management
cost
10
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Profit
10
50
Way of calculating profits of
H and M by the profit split method:
Step I: Share the basic
profit
- Re-calculate figures on the
combined business result:
Unit
of calculation: USD 1.000
Items
Amount
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500
Cost of goods sold
300
R&D cost
80
Sale and general management
cost
60
Profit
60
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Calculate H's and M's profits
according to the following formula:
Profit = gross profit ratio x
cost price
Cost price = cost of goods
sold + R&D cost + sale and general management cost
+ H 's profit = 10% x (100 +
50 + 30 +10) = USD 19,000
+ M's profit = 8% x (300 + 80
+ 60-190) = USD 20.000
After the sharing of the
basic profit, the residual profit is 60-19-20= USD 21,000
Step 2: Share the residual profit
on the basis of the percentage of sharing of R&D cost
- Calculate the proportion of
sharing of R&D cost by each party:
+ 11 = 30/80 x 100% = 37.5%
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- Calculate H's and M's
portion oj residual profit:
+ H: 21 x 37.5% = USD S.870
+ M.21 -8.87= USD 12,130
Conclusion:
- H shall declare its profit
earned from the associated transaction as follows: 19 + 8.87 = USD 27,870, in
replacement of the previous figure of USD 10,000; and
- M shall declare its profit earned
from the associated transaction as follows: 20 + 12.13 = USD 32.130. in
replacement of the previous figure of USD 50.000.
2.5.3. For this method, the
comparability analysis of the four affecting criteria as guided in Section I.
Part B of this Circular and the application conditions shall comply with the
provisions applicable to the resale price method, the cost plus method or the
comparable profit method, on a case by-case basis, under the guidance at Item
2.5.2.2.1. Point 2.5. Clause 2. Article 5. Part B of this Circular.
2.5.4. The profit split method
is normally applied to the cases in which the associated parties jointly
participate in researching into and developing new products or developing
products being exclusive intangible assets or in transactions within the
process of transitional production and business among the associated parties
from the stage of materials to that of end-products for circulation of products
in association with the sole ownership or use of intellectual properly rights.
Article 6.
Provisions on determination of market prices in some special cases:
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1. Combined
measures
1.1. To expand the scope of
selection of uncontrolled transactions (or independent enterprises) to other
sub-sectors of the national economy (according to the list of national economy
sectors promulgated by a competent state agency) than the sub-sector in which
the enterprises are operating for comparison with conditions of enterprises
conducting such uncontrolled transactions which have functions similar to those
performed by the former; analyze the four affecting criteria and eliminate
material differences on the basis of economic criteria used in the sub-sector
so as to objectively reflect investment and business efficiency, economic
growth or added value of products. The number of uncontrolled transactions or
independent enterprises to be selected for comparison must be 5 (five) at
least;
1.2. To determine the market
price range by the ways of calculation under the most appropriate price
determination method stated in Section II, Part B of this Circular; use the
quartile math-statistics function or the percentile math-statistics function
for determining the appropriate standard market price range and median value
(see Appendix 2-GCN/CC. not printed herein).
1.3. In case the price, gross profit
ratio or profitability ratio of products in the associated transactions is not
lower than the median value within the standard market price range or the
purchasing price of products in the associated transactions is not higher than
this median value, enterprises are not required to make adjustments for the
associated transactions. In case the price, gross profit ratio or profitability
ratio of products in the associated transactions is lower than this median
value or the purchasing price of products in the associated transactions is
higher than this median value, enterprises shall make adjustments according to
the most appropriate value within the standard market price range, which,
however, must not be lower than the median value reflecting the corresponding
price, gross profit or profitability ratio or must not be higher than the
median value reflecting the corresponding purchasing price.
1.4. On a case-by-case basis,
enterprises may use a combination of price determination methods stated in
Article 5. Part B of this Circular (see example 15) or simultaneously apply two
price determination methods to additionally verify the accuracy and objectivity
of the price, gross profit ratio or profitability ratio of products in the
associated transactions.
1.5. Particularly for the profit
split method. the second way of calculation and guidelines at Points from 1.1
to 1.3. Clause 1. Article 6. Part B of this Circular shall be considered
grounds for making adjustments for the basic profit: enterprises may continue
to share the residual profit as guided at Item 2.5.2.2.2. Point 2.5. Clause 2.
Article 5. Part B of this Circular.
Example 22: Company X
manufactures electronic integrated circuits and exports all products to its
foreign-based parent company at the sale price (revenue) equal to 1.1 of total
cost.
Assume that:
- In the domain of
manufacture of electronic integrated circuits there is no uncontrolled
transaction or independent enterprise for comparison.
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- An analysis of economic
criteria reflecting the investment efficiency of the sub-sector shows that the
net pre-enterprise income tax profit-net revenue ratio of 30% is suitable to
the actual operation of company X (namely, there is no material difference
which must be adjusted).
Thus:
- Company X may examine it’s
price determination to ensure that the net pre- enterprise income tax
profit-net revenue ratio of 30% is reached, or base itself on the net
pre-enterprise income lax profit-net revenue ratio to re-calculate the net
pre-enterprise income tax profit-total cost ratio for comparison and
adjustment.
- The way of re-calculation
may be as follows:
+ Net pre-enterprise income
tax profit-net revenue ratio= (net revenue - cost)/net revenue = 0.3
+ Net revenue = 1.429 times
of cost.
2. Method of
application of figures between periods
Enterprises may apply comparable
associated transactions conducted between periods (not exceeding 5 years,
counting from the time of arising of the associated transaction), for which the
market prices have been determined under the guidance of this Circular, compile
dossiers for comparability analysis of the four affecting criteria among the
transactions, make adjustments for material differences and use objective
grounds for adjusting economic values in different periods of time (e.g.,
average price increase rate, interest rate, inflation rate, economic growth)
for determining the suitable price of products, gross profit ratio or
profitability ratio of the associated transaction arising in the period of
declaration and payment of enterprise income tax.
Example 23: Enterprise A, a
Vietnam-based enterprise with 100% foreign-invested capital, is the sole
enterprise engaged in exploiting and processing metal X ore in Vietnam for
export. It has the following information:
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- In the year 2xx2,
enterprise A exported 100% of its products to its parent company (there was no
uncontrolled transaction for comparison; the world market price of metal X in
the year 2xx2 increased by 20% over 2xxl; other factors affecting the price of
products (content of metal, delivery and payment terms, etc..) remained
unchanged.
Thus, enterprise A would
declare and calculate tax for the year 2xx2 based on the revenue from the sale
of metal X ore at the unit price of not lower than USD 960/ton (= USD 800/ton x
120%).
Article 7.
Storage and supply of data and vouchers on market price determination methods
1. Selection of data and
vouchers 1.1. Data, vouchers and documents used as grounds for comparability
analysis must be of clear sources so that they can be examined and verified by
tax offices. Enterprises may use information and data from the following sources:
a/ Information and data
publicized or supplied upon request by stale agencies, departments or branches,
research institutes, associations and specialized international organizations
recognized by the State:
b/ Information and data
certified or publicized by licensed organizations and individuals operating in
independent services or occupations (e.g.. independent audit organizations,
register offices or quality registration offices, organizations engaged in
classifying or ranking the credit of enterprises);
c/ Annual or periodical
financial statements and investment reports of companies listed on the
securities markets, which are publicized according to the regulations and
operation rules of these securities markets:
d/ Data, vouchers and documents
relating to business transactions for tax declaration and payment purposes,
which enterprises supply and are responsible for.
Data, vouchers and documents
originating from unofficial or unidentified sources shall be used for reference
only.
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1.3. When calculating relative
figures (e.g.. ratios expressed in a percentage (%) of absolute figures,
enterprises shall round such figures to the third digit following the decimal
point. In case a relative figure is a publicized one with no accompanying
absolute figures and complying with this principle on rounding, the publicized
figure shall be used.
Example 24:
If using absolute figures for
calculating the gross profit ratio, a value of 5.2856% is obtained, this
relative figure shall be rounded to 2,286%.
If the publicized figure of
economic growth is 7.8%. this figure must not be rounded.
If the publicized figure of
interest rate is 4.9854%, this figure shall be rounded to 4,985%.
2. Requirements on storage and
supply of information, documents and evidence
2.1. Enterprises having
associated transactions shall have the obligation as well as responsibility to
store and produce information, documents and evidence already used as grounds
for the application of methods or determining the market price of products in
such associated transactions at the request of tax offices when conducting examination
or inspection. Information, documents and evidence related to production and
business activities and methods of determining market prices of associated
transactions must be established at the time of arising of associated
transaction-., updated and supplemented throughout the time of performance of
the transactions and preserved under the provisions of the accounting,
statistics and tax laws regarding preservation of accounting vouchers and
books.
2.2. When making settlement of
enterprise income tax. enterprises shall be responsible for declaring their
associated transactions according to form GCN-01/QLT provided in Appendix
1-GCN/CC to this Circular (not printed herein). The deadline for submission of
this form is also the deadline for submission of the enterprise income tax
finalization declaration.
2.3. Enterprises are obliged to
compile and preserve records of information, documents and vouchers related to
associated transactions as follows:
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a/ Information on association
relationships between associated parties and enterprises:
b/ Updated documents and reports
on strategies for development, management and control among associated parties:
policies on establishment of transaction prices of each group of products in
line with general orientations set by associated parties and enterprises;
c/ Documents and reports on the
process of development. business strategies, investment, production and
business projects and plans: regulations and processes for enterprises and
associated parties to make financial statements and conduct internal control:
d/ Documents describing the
organization and functions of operation of enterprises and associated parties
participating in transactions.
2.3.2. Information on
transactions conducted by enterprises:
a/ Plans and descriptions of
transactions, including information on transaction parties. order and
procedures for payment and delivery of products, etc.:
b/ Documents describing
characteristics and technical specifications of products: a detailed list of
expenses (costs) per unit product, selling price of product, total quantities
of products produced, traded in and sold in each period (by associated
transaction and uncontrolled transaction (if any)); quantities of products:
c/ Information, documents and
vouchers on the process of negotiation, signing, performance and liquidation of
economic contracts/agreements related to transactions (normally including
description of product, place of transaction, form of transaction, value of
transaction, payment conditions and documents, time of implementation, work
minutes or directives of management related to the process of negotiation,
signing and performance of transactions):
d/ Information, documents and
evidence related to economic circumstances of the market at the time of
performance of associated transactions which affect the method of determining
transaction prices (e.g.. changes in foreign exchange rates, government
policies affecting transaction prices, financial preferences, etc.).
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a/ Enterprises' policies on
establishment of buying and selling prices or exchange of products, process of
control and approval of prices, price tariffs of products on different sale
markets;
b/ Information, documents and
evidence used as grounds to prove the selection and application of methods of
determining the most appropriate prices in associated transactions of
enterprises. including information, data and vouchers used for comparability
analysis and adjustment of material differences, the table of calculation of
transaction prices based on the price determination method applied by
enterprises and reasons for the application of such method:
c/ Other information, documents
and evidence for reference which are related to the selection and application
of methods of determining prices in associated transactions (if any).
2.4. Enterprises shall, at the
request of tax offices, be obliged to supply information, documents and
evidence within 30 working days after the date of receipt of written requests
of tax offices. In case enterprises have plausible reasons, this time limit may
be extended only once for 30 days, counting from the date of its expiration.
2.5. Information, documents and
evidence supplied by enterprises to tax offices must be in the written form,
originals or copies in compliance with the provisions of law on notarization
and authentication. In case enterprises use e-evidence. the supply thereof
shall comply with the Accounting Law and relevant guiding documents regarding
e-vouchers.
Documents and vouchers in a
foreign language must be translated into Vietnamese under the provisions of the
Accounting Law and the accounting regime. Enterprises shall take responsibility
for the contents of the translations.
Part C
RIGHTS AND OBLIGATIONS
OF TAXPAYERS; RESPONSIBILITIES OF TAX OFFICES. AND OTHER PROVISIONS
Article 8.
Rights and obligations of enterprises:
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rights and obligations:
1. To request tax offices to
keep confidential information they have supplied to tax offices to serve the
determination of market prices in business transactions among associated
parties for taxation purposes:
2. To be obliged to fully
produce necessary data, documents and evidence to prove the selection and
application of methods of determining the most appropriate prices for
associated transactions.
Article 9.
Responsibilities and powers of tax offices
1. To keep confidential
information supplied by enterprises in relation to the determination of market
prices in business transactions among associated parties for taxation purposes
defined in this Circular when such information does not come from publicized
sources. The supply of confidential information by taxpayers to relevant state
agencies must comply law.
2. To fix prices to be used for
tax declaration and calculation, fix taxable incomes or payable income tax
amounts for enterprises which conduct associated transactions in the following
cases:
a/ Enterprises have based
themselves on unlawful or invalid documents, data and evidence or fail to specify
the sources of documents, data and vouchers they have used for determining
prices, gross profit ratios or profitability ratios applied to associated
transactions;
b/ Enterprises have forged
uncontrolled transactions or arranged associated transactions into uncontrolled
ones so as to select these transactions as uncontrolled transactions for
comparison;
c/ Enterprises fail to declare
or fully declare information in Appendix GCN-01/HTQT for associated
transactions arising in the year of settlement of enterprise income tax; fail
lo supply upon request within the time limit information, data and documents to
prove the declaration and accounting market prices for associated transactions:
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3. The General Department of
Taxation shall base itself on information on tax liabilities declared by
enterprises having associated transactions and databases of tax offices to
guide the assessment of taxes on the following principles:
a/ In case enterprises have
fully implemented the regime of accounting, invoices and evidence, the fixing
of revenue, cost or taxable income for determining tax liabilities shall be
effected under market price determination methods specified in Clause 2.
Article 5 and Article 6. Part 13 of this Circular on the basis of prices, gross
profit ratio or profitability ratios determined by tax offices suitable to each
case or each business line;
b/ In other cases, the
assessment of tax shall be effected on the basis of databases of tax offices
under regulations on tax assessment applicable to enterprises which have not
fully implemented the regime of accounting, invoices and evidence or under
regulations on handling of tax-related violations;
c/ In case of tax assessment
related to the standard market price range, the most appropriate value for
determining prices, gross profit ratio or profitability ratios applicable to
enterprises having associated transactions subject to tax assessment is a value
not lower than the median value of the standard market price range determined
by tax offices; the most appropriate value for determining the purchasing price
applicable to enterprises having associated transactions subject to tax
assessment is a value not higher than the median value of the standard market
price range determined by tax offices.
4. The General Department of
Taxation shall guide the examination and inspection of enter prises in their
implementation of this Circular.
Part D
ORGANIZATION OF
IMPLEMENTATION
Article 10.
Effect
This Circular takes effect 45
days from the date of its signining for promulgation. To annul the Ministry of
Finance's Circular No. 117/2005/ TT-BTC of December 19. 2005. guiding the
determination of market prices in business transactions between associated
parties, and the Minister of Finance's Decision No. 37/2006/QD-BTC of January
4. 2006. correcting the Ministry of Finance's Circular No. 117/2005AT-BTC of
December 19. 2005. guiding the determination of market prices in business
transactions between associated parties.
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