Transfer Pricing for Digital Platforms

Thibaut Roques
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Abstract

Aligning transfer pricing outcomes with value creation for digital companies is at the core of the BEPS (“Base Erosion and Profit Shifting”) initiative, led by the OECD. Many of the giant digital companies which are the focus of the BEPS initiative are modeled by economists as platforms. Network effects and user participation have rightly been identified as key features of these markets in the BEPS 2015 reports. However, this article argues that BEPS 2015 reports have not drawn the right conclusions from this and are likely to fall short of their main objective. In digital platform markets, value is primarily created by users either by their work or by their sole presence. The so-called network effects (i.e. the externalities exerted by users on other users on the platform) are generated by the action of users and not directly by the action of the platform itself. The question of the attribution of the value created by network effects thus cannot be solved by functional analyses (as typically performed in transfer pricing projects): functional analyses focus solely on functions, assets and risks at the company level, but, in the context of digital platform, value is created by users, outside the scope of activity of the platform. As a result, transfer pricing rules should be amended to fully acknowledge the idiosyncrasies of digital platforms. Contrary to most papers devoted to this topic, this article does not advocate for a complete rewriting of the international tax rules and rather proposes achievable adjustments to the existing transfer pricing framework. Out of lack of better practical options, we believe that this attribution question should be solved by adjusting the international tax framework and defining a clear rule for the treatment of network effects. More precisely, transfer pricing lawmakers should decide on a rule to attribute these network effects and should clearly establish which legal entity should be entitled the profit generated by network effects. It is our opinion that taxable income generated by network effects should be located where these effects are created. This could be achieved for example by treating network effects in a similar manner as group synergies, i.e. benefits arising from these effects would stay in the country where they are generated.
数字平台的转移定价
将转移定价结果与数字公司的价值创造相结合,是经合组织(OECD)牵头的“税基侵蚀和利润转移”(BEPS)计划的核心。BEPS计划关注的许多大型数字公司都被经济学家视为平台。在BEPS 2015报告中,网络效应和用户参与被正确地确定为这些市场的关键特征。然而,本文认为,BEPS 2015报告并没有从中得出正确的结论,很可能达不到其主要目标。在数字平台市场,价值主要是由用户通过他们的工作或他们的存在创造的。所谓网络效应(即用户对平台上其他用户施加的外部性)是由用户的行为产生的,而不是由平台本身的行为直接产生的。因此,网络效应创造的价值归属问题无法通过功能分析(通常在转移定价项目中执行)来解决:功能分析仅关注公司层面的功能、资产和风险,但在数字平台的背景下,价值是由用户创造的,超出了平台的活动范围。因此,应修改转让定价规则,以充分承认数字平台的特性。与大多数致力于这一主题的论文相反,本文并不主张完全重写国际税收规则,而是提出对现有转让定价框架进行可实现的调整。由于缺乏更好的实际选择,我们认为应该通过调整国际税收框架,明确网络效应的处理规则来解决这一归因问题。更准确地说,转移定价立法者应该决定一项规则来归因于这些网络效应,并应清楚地确定哪个法律实体应该享有网络效应产生的利润。我们认为,网络效应产生的应纳税所得额应定位于网络效应产生的地方。例如,可以通过以与群体协同效应类似的方式对待网络效应来实现这一点,即这些效应产生的利益将留在产生这些效应的国家。
本文章由计算机程序翻译,如有差异,请以英文原文为准。
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