skip to main content

Taxation Administration,Ministry of Finance,R.O.C.Law Source Retrieving System of Taxation Laws and Regulations

:::
:::

Tax Related Laws & Regulations

Tax Act:
Regulations Governing Assessment of Profit-Seeking Enterprise Income Tax on Non-Arm''s-Length Transfer Pricing
Article 9-2
Content:
When profit-seeking enterprises and the collection authorities-in-charge evaluate whether the allocation of profits by the transaction of Intangible Assets is consistent with the Arm’s-length principle, they shall conduct comparability analysis based on the economic activities involving the development, enhancement, maintenance, protection, and exploitation of Intangible Assets in accordance with Article 8 and Article 8-1; in particular, attention shall be drawn to the degree of contributions of functions performed, risks assumed, and assets used of previous economic activities, and the Arm's-length result shall be determined based on the comparability analysis.
When evaluating Intangible Assets transactions, the following risks shall be particularly considered:

1. 

risks related to development of intangibles;

2. 

risks of product obsolescence;

3. 

infringement risk;

4. 

product liability risks; and

5. 

exploitation risks.
 Update:2021-03-23

Back Home TOP
:::
Print
GoTop