Further ATO guidance on the application of the Simplifying Transfer Pricing Record Keeping (STPR) options
Knowledge • Further ATO guidance on the application of the Simplifying Transfer Pricing Record Keeping (STPR) options
Knowledge • Further ATO guidance on the application of the Simplifying Transfer Pricing Record Keeping (STPR) options
On 26 November the ATO provided further guidance on the application of the STPR options in the form of Frequently Asked Questions (FAQ). In the document the ATO emphasises on the importance of demonstrating compliance with Australia’s transfer pricing rules, even when applying the STPR options, as all taxpayers are still subject to the transfer pricing rules in Subdivision 815-B, C and D of the ITAA 1997 regardless of whether the STPR options are applied.
If a taxpayer applies the STPR options, it will still have to document that it complies with all the eligibility criteria. In the FAQ document, the ATO specifically states that self-assessment by assertion is not sufficient; the ATO expects that taxpayers keep contemporaneous documentation to self-assess the eligibility. In practice this is usually demonstrated via a simplified transfer pricing document that outlines the reasons as to why the STPR option applies to the transaction(s).
Other key points outlined in the FAQ documents are:
For assistance with the application of the STPR options, please contact Transfer Pricing Solutions on +61 (3) 5911 7001 or admin@transferpricingsolutions.com.au www.transferpricingsolutions.com.au
[1] TR 1999/1 Income tax: international transfer pricing for intra-group services.