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2018 Transfer Pricing Overview
Czech Republic
czechrepublic@accace.com
www.accace.com | www.accace.cz
2 | 2018 Transfer Pricing Overview for the Czech Republic
Contents
Applicable legislation ......................................................................................................................... 3
Local legislation................................................................................................................................. 3
International regulations.................................................................................................................... 3
Related parties .................................................................................................................................... 5
Methods................................................................................................................................................ 6
Traditional transactional Transfer Pricing methods .......................................................................... 6
Profit based Transfer Pricing methods.............................................................................................. 6
Documentation .................................................................................................................................... 7
Obligations ........................................................................................................................................ 7
Guidance D - 334 .............................................................................................................................. 7
Advance Pricing Agreements (APA) ................................................................................................. 8
Other aspects ...................................................................................................................................... 9
Mutual Agreement Procedure ........................................................................................................... 9
Penalties............................................................................................................................................ 9
Additional obligations for taxpayers .................................................................................................. 9
ABOUT ACCACE ............................................................................................................................... 10
3 | 2018 Transfer Pricing Overview for the Czech Republic
APPLICABLE
LEGISLATION
Local legislation
Income Taxes Act No. 586/1992 Coll. (Section 23 (7))
Section 23 (7) of the Czech Income Taxes Act stipulates that if prices agreed between related
persons (parties) differ from prices agreed between unrelated entities in common business relations
under the same or similar conditions and the difference is not properly documented, the taxpayer’s tax
base shall be adjusted by the ascertained difference.
International regulations
 Double Tax Treaties
 OECD Guidelines
 Arbitration Convention
OECD Guidelines
As a member of the OECD, the Czech Republic applies principles and recommendations issued by
this organization. In this regard, the OECD issued the OECD Guidelines in 1995 which were
subsequently updated in July 2010. The OECD Guidelines are not legally binding for the Czech
Republic, nevertheless, are widely followed.
The Transfer Pricing principles defined by the OECD Guidelines were implemented into the Czech tax
system by Guidance D - 332 of the Ministry of Finance. Even though not legally binding, Guidance D -
332 provides the guidance to taxpayers on how the Czech tax administration will approach the
Transfer Pricing issues. Therefore, it is recommendable to follow the principles included in Guidance
D – 332.
4 | 2018 Transfer Pricing Overview for the Czech Republic
Arbitration Convention
The Czech Republic is one of the parties to the EU Arbitration Convention. This Convention
establishes a procedure to resolve disputes where double taxation occurs between enterprises of
different Member States as a result of an upward adjustment of profits of an enterprise of one
Member State.
The Convention provides for the elimination of double taxation by agreement between the contracting
states including, if necessary, by reference to the opinion of an independent advisory body.
5 | 2018 Transfer Pricing Overview for the Czech Republic
RELATED PARTIES
The term „related persons” (“related parties”) refers to:
1. Parties that are related through capital, where:
 one person (party) directly participates in another person’s (party’s) capital or voting rights, or
one person (party) participates in the capital or voting rights of more persons (parties) and this
person (party) has a holding of at least 25% in the others’ registered capital or voting rights -
in such a case all are regarded as mutually related directly through capital
 person (party) indirectly participates in another person’s (party’s) capital or voting rights, or
one person (party) indirectly participates in the capital or voting rights of more persons
(parties) and has a holding of at least 25% in the others’ registered capital or voting rights - in
such a case all are regarded as mutually related through capital
2. Otherwise related parties:
 one person (party) participates in the management or control of another person (party)
 identical persons or close persons participate in the management or control of other persons
(parties) and such other persons (parties) are otherwise related persons (parties); as
otherwise related persons are not considered persons participating in supervisory board of
the both persons (parties)
 involving a controlling person (party) and a controlled person (party), and/or also persons
(parties) controlled by the same controlling person (party)
 being close person (as provided by the Civil Code)
 being persons (parties) having established a legal relationship predominantly for the purpose
of reducing their tax base or increasing their tax loss
6 | 2018 Transfer Pricing Overview for the Czech Republic
METHODS
The OECD Guidelines set out three traditional transactional
Transfer Pricing methods and two profit-based Transfer Pricing
methods.
Traditional transactional Transfer Pricing methods
 comparable uncontrolled price (“CUP”) method
 resale price minus (“R-”) method
 cost plus (“C+”) method
Profit based Transfer Pricing methods
 profit split (“PS”) method
 transactional net margin method (“TNMM”)
7 | 2018 Transfer Pricing Overview for the Czech Republic
DOCUMENTATION
Obligations
Generally, there is no legal obligation to prepare Transfer Pricing
documentation. However, under Section 92 (3) of Act No. 280/2009 Coll. (Tax Code) as subsequently
amended, the taxpayer is required to provide documentary evidence of all facts which he is obliged to
state in his tax return or other communication with the tax administration. In this context, the
taxpayer may be requested to prove how the Transfer Prices in its related-party transactions
were determined, and whether they comply with the arm’s length principle.
The arm’s length principle requires that Transfer Prices charged between related parties are
equivalent to those that would have been charged between independent parties under the same
circumstances.
Guidance D - 334
The Ministry of Finance therefore issued Guidance D - 334 that outlines the recommendations for
taxpayers regarding the scope of documentation that may be used for the purposes of Transfer
Pricing. Guidance - 334 was prepared in accordance with the principles defined in the OECD
Guidelines and the Code of Conduct issued by the EU Joint Transfer Pricing Forum.
Guidance D - 334 provides legally non-binding recommendations that are, however, advised to
follow to ensure a smooth tax audit.
It is essential for the taxpayer to have supporting documentation in case the tax authority inspects the
transactions, as the burden of proof lies on the taxpayer. During the tax audit, the tax authority may
request any documentation that reasonably justifies the substance of the transaction, its benefits for
taxpayers, the appropriateness of the fees and the Transfer Pricing method selected.
8 | 2018 Transfer Pricing Overview for the Czech Republic
ADVANCE PRICING
AGREEMENTS (APA)
The Advance Pricing Agreements ( APA) are binding
agreements valid for up to 3 years (if conditions and the law
remain unchanged) between the tax authority and the taxpayer,
which set out the method for determining Transfer Prices in related party transactions.
This concept of “binding ruling” is set out by Section 38nc of the Income Tax Act which became
effective as of January 1st, 2006. First, the taxpayer files a request and, consequently, the tax
administrator decides whether the taxpayer has chosen a relevant Transfer Pricing method which
would result in a transfer price determination on an arm’s-length basis. The binding ruling can be
issued only for transactions effective in a particular tax period or that will be effective in the future. It is
impossible to apply for the binding ruling concerning the business relations that have already
influenced the tax liability (tax base or tax loss) for the taxable period.
Guidance D - 333 describes the process for issuing binding ruling and the details for the application.
Generally, the decision on the method of Transfer Pricing between related parties is effective for three
tax periods following the day when the decision was issued.
The fee for APA in the Czech Republic is CZK 10,000 (approx. EUR 370) for one transaction.
9 | 2018 Transfer Pricing Overview for the Czech Republic
OTHER ASPECTS
Mutual Agreement Procedure
Mutual Agreement Procedure is a dispute resolution procedure
provided by Article 25 of the OECD Model Tax Convention. The
subject of this procedure is the negotiation between two governments with the aim to resolve matters
of taxation not in accordance with the particular tax treaty and to try to avoid double taxation.
Penalties
There are no specific Transfer Pricing penalties. Generally, when the tax authority successfully
challenges Transfer Pricing, a penalty of 20% of the unpaid tax or 1% of the tax loss reduction will be
applied. In addition to this, interest for late payment is assessed at 14.50% of the unpaid tax (current
rate).
Additional obligations for taxpayers
Taxpayers are obliged to fill in the mandatory annex to the corporate income tax return related to
Transfer Pricing. This annex describes the intragroup transactions. Qualifying companies must state
the information regarding related parties (name, registered office) and state the relevant financial
amount.
Disclaimer
Please note that our material has been prepared for general guidance on the matter and does
not represent a customized professional advice. Furthermore, because the legislation is
changing continuously, some of the information may have been modified after the material has
been released and Accace does not take any responsibility and is not liable for any potential
risks or damages caused by taking actions based on the information provided herein.
10 | 2018 Transfer Pricing Overview for the Czech Republic
CONTACT US!
Tel.: +420 222 753 480 – 1
E-mail: czechrepublic@accace.com
ABOUT ACCACE
With more than 550 professionals and branches in 13 countries, Accace counts as
one of the leading outsourcing and advisory services providers in Central and
Eastern Europe. During the past years, while having more than 2,000 international
companies as customers, Accace set in motion its strategic expansion outside CEE
to become a provider with truly global reach.
Accace offices are located in the Czech Republic, Hungary, Poland, Romania,
Slovakia, Ukraine, Bosnia and Herzegovina, Croatia, Germany, Macedonia,
Montenegro, Serbia and Slovenia. Locations in other European countries and
globally are covered via Accace’s trusted network of partners.
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2018 Transfer Pricing Overview for the Czech Republic

  • 1. 2018 Transfer Pricing Overview Czech Republic czechrepublic@accace.com www.accace.com | www.accace.cz
  • 2. 2 | 2018 Transfer Pricing Overview for the Czech Republic Contents Applicable legislation ......................................................................................................................... 3 Local legislation................................................................................................................................. 3 International regulations.................................................................................................................... 3 Related parties .................................................................................................................................... 5 Methods................................................................................................................................................ 6 Traditional transactional Transfer Pricing methods .......................................................................... 6 Profit based Transfer Pricing methods.............................................................................................. 6 Documentation .................................................................................................................................... 7 Obligations ........................................................................................................................................ 7 Guidance D - 334 .............................................................................................................................. 7 Advance Pricing Agreements (APA) ................................................................................................. 8 Other aspects ...................................................................................................................................... 9 Mutual Agreement Procedure ........................................................................................................... 9 Penalties............................................................................................................................................ 9 Additional obligations for taxpayers .................................................................................................. 9 ABOUT ACCACE ............................................................................................................................... 10
  • 3. 3 | 2018 Transfer Pricing Overview for the Czech Republic APPLICABLE LEGISLATION Local legislation Income Taxes Act No. 586/1992 Coll. (Section 23 (7)) Section 23 (7) of the Czech Income Taxes Act stipulates that if prices agreed between related persons (parties) differ from prices agreed between unrelated entities in common business relations under the same or similar conditions and the difference is not properly documented, the taxpayer’s tax base shall be adjusted by the ascertained difference. International regulations  Double Tax Treaties  OECD Guidelines  Arbitration Convention OECD Guidelines As a member of the OECD, the Czech Republic applies principles and recommendations issued by this organization. In this regard, the OECD issued the OECD Guidelines in 1995 which were subsequently updated in July 2010. The OECD Guidelines are not legally binding for the Czech Republic, nevertheless, are widely followed. The Transfer Pricing principles defined by the OECD Guidelines were implemented into the Czech tax system by Guidance D - 332 of the Ministry of Finance. Even though not legally binding, Guidance D - 332 provides the guidance to taxpayers on how the Czech tax administration will approach the Transfer Pricing issues. Therefore, it is recommendable to follow the principles included in Guidance D – 332.
  • 4. 4 | 2018 Transfer Pricing Overview for the Czech Republic Arbitration Convention The Czech Republic is one of the parties to the EU Arbitration Convention. This Convention establishes a procedure to resolve disputes where double taxation occurs between enterprises of different Member States as a result of an upward adjustment of profits of an enterprise of one Member State. The Convention provides for the elimination of double taxation by agreement between the contracting states including, if necessary, by reference to the opinion of an independent advisory body.
  • 5. 5 | 2018 Transfer Pricing Overview for the Czech Republic RELATED PARTIES The term „related persons” (“related parties”) refers to: 1. Parties that are related through capital, where:  one person (party) directly participates in another person’s (party’s) capital or voting rights, or one person (party) participates in the capital or voting rights of more persons (parties) and this person (party) has a holding of at least 25% in the others’ registered capital or voting rights - in such a case all are regarded as mutually related directly through capital  person (party) indirectly participates in another person’s (party’s) capital or voting rights, or one person (party) indirectly participates in the capital or voting rights of more persons (parties) and has a holding of at least 25% in the others’ registered capital or voting rights - in such a case all are regarded as mutually related through capital 2. Otherwise related parties:  one person (party) participates in the management or control of another person (party)  identical persons or close persons participate in the management or control of other persons (parties) and such other persons (parties) are otherwise related persons (parties); as otherwise related persons are not considered persons participating in supervisory board of the both persons (parties)  involving a controlling person (party) and a controlled person (party), and/or also persons (parties) controlled by the same controlling person (party)  being close person (as provided by the Civil Code)  being persons (parties) having established a legal relationship predominantly for the purpose of reducing their tax base or increasing their tax loss
  • 6. 6 | 2018 Transfer Pricing Overview for the Czech Republic METHODS The OECD Guidelines set out three traditional transactional Transfer Pricing methods and two profit-based Transfer Pricing methods. Traditional transactional Transfer Pricing methods  comparable uncontrolled price (“CUP”) method  resale price minus (“R-”) method  cost plus (“C+”) method Profit based Transfer Pricing methods  profit split (“PS”) method  transactional net margin method (“TNMM”)
  • 7. 7 | 2018 Transfer Pricing Overview for the Czech Republic DOCUMENTATION Obligations Generally, there is no legal obligation to prepare Transfer Pricing documentation. However, under Section 92 (3) of Act No. 280/2009 Coll. (Tax Code) as subsequently amended, the taxpayer is required to provide documentary evidence of all facts which he is obliged to state in his tax return or other communication with the tax administration. In this context, the taxpayer may be requested to prove how the Transfer Prices in its related-party transactions were determined, and whether they comply with the arm’s length principle. The arm’s length principle requires that Transfer Prices charged between related parties are equivalent to those that would have been charged between independent parties under the same circumstances. Guidance D - 334 The Ministry of Finance therefore issued Guidance D - 334 that outlines the recommendations for taxpayers regarding the scope of documentation that may be used for the purposes of Transfer Pricing. Guidance - 334 was prepared in accordance with the principles defined in the OECD Guidelines and the Code of Conduct issued by the EU Joint Transfer Pricing Forum. Guidance D - 334 provides legally non-binding recommendations that are, however, advised to follow to ensure a smooth tax audit. It is essential for the taxpayer to have supporting documentation in case the tax authority inspects the transactions, as the burden of proof lies on the taxpayer. During the tax audit, the tax authority may request any documentation that reasonably justifies the substance of the transaction, its benefits for taxpayers, the appropriateness of the fees and the Transfer Pricing method selected.
  • 8. 8 | 2018 Transfer Pricing Overview for the Czech Republic ADVANCE PRICING AGREEMENTS (APA) The Advance Pricing Agreements ( APA) are binding agreements valid for up to 3 years (if conditions and the law remain unchanged) between the tax authority and the taxpayer, which set out the method for determining Transfer Prices in related party transactions. This concept of “binding ruling” is set out by Section 38nc of the Income Tax Act which became effective as of January 1st, 2006. First, the taxpayer files a request and, consequently, the tax administrator decides whether the taxpayer has chosen a relevant Transfer Pricing method which would result in a transfer price determination on an arm’s-length basis. The binding ruling can be issued only for transactions effective in a particular tax period or that will be effective in the future. It is impossible to apply for the binding ruling concerning the business relations that have already influenced the tax liability (tax base or tax loss) for the taxable period. Guidance D - 333 describes the process for issuing binding ruling and the details for the application. Generally, the decision on the method of Transfer Pricing between related parties is effective for three tax periods following the day when the decision was issued. The fee for APA in the Czech Republic is CZK 10,000 (approx. EUR 370) for one transaction.
  • 9. 9 | 2018 Transfer Pricing Overview for the Czech Republic OTHER ASPECTS Mutual Agreement Procedure Mutual Agreement Procedure is a dispute resolution procedure provided by Article 25 of the OECD Model Tax Convention. The subject of this procedure is the negotiation between two governments with the aim to resolve matters of taxation not in accordance with the particular tax treaty and to try to avoid double taxation. Penalties There are no specific Transfer Pricing penalties. Generally, when the tax authority successfully challenges Transfer Pricing, a penalty of 20% of the unpaid tax or 1% of the tax loss reduction will be applied. In addition to this, interest for late payment is assessed at 14.50% of the unpaid tax (current rate). Additional obligations for taxpayers Taxpayers are obliged to fill in the mandatory annex to the corporate income tax return related to Transfer Pricing. This annex describes the intragroup transactions. Qualifying companies must state the information regarding related parties (name, registered office) and state the relevant financial amount. Disclaimer Please note that our material has been prepared for general guidance on the matter and does not represent a customized professional advice. Furthermore, because the legislation is changing continuously, some of the information may have been modified after the material has been released and Accace does not take any responsibility and is not liable for any potential risks or damages caused by taking actions based on the information provided herein.
  • 10. 10 | 2018 Transfer Pricing Overview for the Czech Republic CONTACT US! Tel.: +420 222 753 480 – 1 E-mail: czechrepublic@accace.com ABOUT ACCACE With more than 550 professionals and branches in 13 countries, Accace counts as one of the leading outsourcing and advisory services providers in Central and Eastern Europe. During the past years, while having more than 2,000 international companies as customers, Accace set in motion its strategic expansion outside CEE to become a provider with truly global reach. Accace offices are located in the Czech Republic, Hungary, Poland, Romania, Slovakia, Ukraine, Bosnia and Herzegovina, Croatia, Germany, Macedonia, Montenegro, Serbia and Slovenia. Locations in other European countries and globally are covered via Accace’s trusted network of partners. More about us: www.accace.com | www.accace.cz Subscribe to our newsletter!