[Code of Federal Regulations]
[Title 26, Volume 6]
[Revised as of April 1, 2004]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.482-3]

[Page 613-622]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.482-3  Methods to determine taxable income in connection with 
a transfer of tangible property.

    (a) In general. The arm's length amount charged in a controlled 
transfer of tangible property must be determined under one of the six 
methods listed in this paragraph (a). Each of the methods must be 
applied in accordance with all of the provisions of Sec. 1.482-1, 
including the best method rule of Sec. 1.482-1(c), the comparability 
analysis of Sec. 1.482-1(d), and the arm's length range of Sec. 1.482-
1(e). The methods are--
    (1) The comparable uncontrolled price method, described in paragraph 
(b) of this section;
    (2) The resale price method, described in paragraph (c) of this 
section;
    (3) The cost plus method, described in paragraph (d) of this 
section;
    (4) The comparable profits method, described in Sec. 1.482-5;

[[Page 614]]

    (5) The profit split method, described in Sec. 1.482-6; and
    (6) Unspecified methods, described in paragraph (e) of this section.
    (b) Comparable uncontrolled price method--(1) In general. The 
comparable uncontrolled price method evaluates whether the amount 
charged in a controlled transaction is arm's length by reference to the 
amount charged in a comparable uncontrolled transaction.
    (2) Comparability and reliability considerations--(i) In general. 
Whether results derived from applications of this method are the most 
reliable measure of the arm's length result must be determined using the 
factors described under the best method rule in Sec. 1.482-1(c). The 
application of these factors under the comparable uncontrolled price 
method is discussed in paragraph (b)(2)(ii) and (iii) of this section.
    (ii) Comparability--(A) In general. The degree of comparability 
between controlled and uncontrolled transactions is determined by 
applying the provisions of Sec. 1.482-1(d). Although all of the factors 
described in Sec. 1.482-1(d)(3) must be considered, similarity of 
products generally will have the greatest effect on comparability under 
this method. In addition, because even minor differences in contractual 
terms or economic conditions could materially affect the amount charged 
in an uncontrolled transaction, comparability under this method depends 
on close similarity with respect to these factors, or adjustments to 
account for any differences. The results derived from applying the 
comparable uncontrolled price method generally will be the most direct 
and reliable measure of an arm's length price for the controlled 
transaction if an uncontrolled transaction has no differences with the 
controlled transaction that would affect the price, or if there are only 
minor differences that have a definite and reasonably ascertainable 
effect on price and for which appropriate adjustments are made. If such 
adjustments cannot be made, or if there are more than minor differences 
between the controlled and uncontrolled transactions, the comparable 
uncontrolled price method may be used, but the reliability of the 
results as a measure of the arm's length price will be reduced. Further, 
if there are material product differences for which reliable adjustments 
cannot be made, this method ordinarily will not provide a reliable 
measure of an arm's length result.
    (B) Adjustments for differences between controlled and uncontrolled 
transactions. If there are differences between the controlled and 
uncontrolled transactions that would affect price, adjustments should be 
made to the price of the uncontrolled transaction according to the 
comparability provisions of Sec. 1.482-1(d)(2). Specific examples of 
the factors that may be particularly relevant to this method include--
    (1) Quality of the product;
    (2) Contractual terms (e.g., scope and terms of warranties provided, 
sales or purchase volume, credit terms, transport terms);
    (3) Level of the market (i.e., wholesale, retail, etc.);
    (4) Geographic market in which the transaction takes place;
    (5) Date of the transaction;
    (6) Intangible property associated with the sale;
    (7) Foreign currency risks; and
    (8) Alternatives realistically available to the buyer and seller.
    (iii) Data and assumptions. The reliability of the results derived 
from the comparable uncontrolled price method is affected by the 
completeness and accuracy of the data used and the reliability of the 
assumptions made to apply the method. See Sec. 1.482-1(c) (Best method 
rule).
    (3) Arm's length range. See Sec. 1.482-1(e)(2) for the 
determination of an arm's length range.
    (4) Examples. The principles of this paragraph (b) are illustrated 
by the following examples.

    Example 1. Comparable Sales of Same Product. USM, a U.S. 
manufacturer, sells the same product to both controlled and uncontrolled 
distributors. The circumstances surrounding the controlled and 
uncontrolled transactions are substantially the same, except that the 
controlled sales price is a delivered price and the uncontrolled sales 
are made f.o.b. USM's factory. Differences in the contractual terms of 
transportation and insurance generally have a definite and reasonably 
ascertainable effect on price, and adjustments are made to the results 
of the uncontrolled transaction to account for such differences. No 
other material difference has been identified between the controlled and

[[Page 615]]

uncontrolled transactions. Because USM sells in both the controlled and 
uncontrolled transactions, it is likely that all material differences 
between the two transactions have been identified. In addition, because 
the comparable uncontrolled price method is applied to an uncontrolled 
comparable with no product differences, and there are only minor 
contractual differences that have a definite and reasonably 
ascertainable effect on price, the results of this application of the 
comparable uncontrolled price method will provide the most direct and 
reliable measure of an arm's length result. See Sec. 1.482-
3(b)(2)(ii)(A).
    Example 2. Effect of Trademark. The facts are the same as in Example 
1, except that USM affixes its valuable trademark to the property sold 
in the controlled transactions, but does not affix its trademark to the 
property sold in the uncontrolled transactions. Under the facts of this 
case, the effect on price of the trademark is material and cannot be 
reliably estimated. Because there are material product differences for 
which reliable adjustments cannot be made, the comparable uncontrolled 
price method is unlikely to provide a reliable measure of the arm's 
length result. See Sec. 1.482-3(b)(2)(ii)(A).
    Example 3. Minor Product Differences. The facts are the same as in 
Example 1, except that USM, which manufactures business machines, makes 
minor modifications to the physical properties of the machines to 
satisfy specific requirements of a customer in controlled sales, but 
does not make these modifications in uncontrolled sales. If the minor 
physical differences in the product have a material effect on prices, 
adjustments to account for these differences must be made to the results 
of the uncontrolled transactions according to the provisions of Sec. 
1.482- 1(d)(2), and such adjusted results may be used as a measure of 
the arm's length result.
    Example 4. Effect of Geographic Differences. FM, a foreign specialty 
radio manufacturer, sells its radios to a controlled U.S. distributor, 
AM, that serves the West Coast of the United States. FM sells its radios 
to uncontrolled distributors to serve other regions in the United 
States. The product in the controlled and uncontrolled transactions is 
the same, and all other circumstances surrounding the controlled and 
uncontrolled transactions are substantially the same, other than the 
geographic differences. If the geographic differences are unlikely to 
have a material effect on price, or they have definite and reasonably 
ascertainable effects for which adjustments are made, then the adjusted 
results of the uncontrolled sales may be used under the comparable 
uncontrolled price method to establish an arm's length range pursuant to 
Sec. 1.482-1(e)(2)(iii)(A). If the effects of the geographic 
differences would be material but cannot be reliably ascertained, then 
the reliability of the results will be diminished. However, the 
comparable uncontrolled price method may still provide the most reliable 
measure of an arm's length result, pursuant to the best method rule of 
Sec. 1.482-1(c), and, if so, an arm's length range may be established 
pursuant to Sec. 1.482-1(e)(2)(iii)(B).

    (5) Indirect evidence of comparable uncontrolled transactions--(i) 
In general. A comparable uncontrolled price may be derived from data 
from public exchanges or quotation media, but only if the following 
requirements are met--
    (A) The data is widely and routinely used in the ordinary course of 
business in the industry to negotiate prices for uncontrolled sales;
    (B) The data derived from public exchanges or quotation media is 
used to set prices in the controlled transaction in the same way it is 
used by uncontrolled taxpayers in the industry; and
    (C) The amount charged in the controlled transaction is adjusted to 
reflect differences in product quality and quantity, contractual terms, 
transportation costs, market conditions, risks borne, and other factors 
that affect the price that would be agreed to by uncontrolled taxpayers.
    (ii) Limitation. Use of data from public exchanges or quotation 
media may not be appropriate under extraordinary market conditions.
    (iii) Examples. The following examples illustrate this paragraph 
(b)(5).

    Example 1. Use of Quotation Medium. (i) On June 1, USOil, a United 
States corporation, enters into a contract to purchase crude oil from 
its foreign subsidiary, FS, in Country Z. USOil and FS agree to base 
their sales price on the average of the prices published for that crude 
in a quotation medium in the five days before August 1, the date set for 
delivery. USOil and FS agree to adjust the price for the particular 
circumstances of their transactions, including the quantity of the crude 
sold, contractual terms, transportation costs, risks borne, and other 
factors that affect the price.
    (ii) The quotation medium used by USOil and FS is widely and 
routinely used in the ordinary course of business in the industry to 
establish prices for uncontrolled sales. Because USOil and FS use the 
data to set their sales price in the same way that unrelated parties use 
the data from the quotation medium to set their sales prices, and 
appropriate adjustments were made to account for differences, the price 
derived from the quotation medium used by USOil and FS to

[[Page 616]]

set their transfer prices will be considered evidence of a comparable 
uncontrolled price.
    Example 2. Extraordinary Market Conditions. The facts are the same 
as in Example 1, except that before USOil and FS enter into their 
contract, war breaks out in Countries X and Y, major oil producing 
countries, causing significant instability in world petroleum markets. 
As a result, given the significant instability in the price of oil, the 
prices listed on the quotation medium may not reflect a reliable measure 
of an arm's length result. See Sec. 1.482-3(b)(5)(ii).

    (c) Resale price method--(1) In general. The resale price method 
evaluates whether the amount charged in a controlled transaction is 
arm's length by reference to the gross profit margin realized in 
comparable uncontrolled transactions. The resale price method measures 
the value of functions performed, and is ordinarily used in cases 
involving the purchase and resale of tangible property in which the 
reseller has not added substantial value to the tangible goods by 
physically altering the goods before resale. For this purpose, 
packaging, repackaging, labelling, or minor assembly do not ordinarily 
constitute physical alteration. Further the resale price method is not 
ordinarily used in cases where the controlled taxpayer uses its 
intangible property to add substantial value to the tangible goods.
    (2) Determination of arm's length price--(i) In general. The resale 
price method measures an arm's length price by subtracting the 
appropriate gross profit from the applicable resale price for the 
property involved in the controlled transaction under review.
    (ii) Applicable resale price. The applicable resale price is equal 
to either the resale price of the particular item of property involved 
or the price at which contemporaneous resales of the same property are 
made. If the property purchased in the controlled sale is resold to one 
or more related parties in a series of controlled sales before being 
resold in an uncontrolled sale, the applicable resale price is the price 
at which the property is resold to an uncontrolled party, or the price 
at which contemporaneous resales of the same property are made. In such 
case, the determination of the appropriate gross profit will take into 
account the functions of all members of the group participating in the 
series of controlled sales and final uncontrolled resales, as well as 
any other relevant factors described in Sec. 1.482-1(d)(3).
    (iii) Appropriate gross profit. The appropriate gross profit is 
computed by multiplying the applicable resale price by the gross profit 
margin (expressed as a percentage of total revenue derived from sales) 
earned in comparable uncontrolled transactions.
    (iv) Arm's length range. See Sec. 1.482-1(e)(2) for determination 
of the arm's length range.
    (3) Comparability and reliability considerations--(i) In general. 
Whether results derived from applications of this method are the most 
reliable measure of the arm's length result must be determined using the 
factors described under the best method rule in Sec. 1.482-1(c). The 
application of these factors under the resale price method is discussed 
in paragraphs (c)(3) (ii) and (iii) of this section.
    (ii) Comparability--(A) Functional comparability. The degree of 
comparability between an uncontrolled transaction and a controlled 
transaction is determined by applying the comparability provisions of 
Sec. 1.482-1(d). A reseller's gross profit provides compensation for 
the performance of resale functions related to the product or products 
under review, including an operating profit in return for the reseller's 
investment of capital and the assumption of risks. Therefore, although 
all of the factors described in Sec. 1.482-1(d)(3) must be considered, 
comparability under this method is particularly dependent on similarity 
of functions performed, risks borne, and contractual terms, or 
adjustments to account for the effects of any such differences. If 
possible, appropriate gross profit margins should be derived from 
comparable uncontrolled purchases and resales of the reseller involved 
in the controlled sale, because similar characteristics are more likely 
to be found among different resales of property made by the same 
reseller than among sales made by other resellers. In the absence of 
comparable uncontrolled transactions involving the same reseller, an 
appropriate gross profit margin may be derived from comparable 
uncontrolled transactions of other resellers.

[[Page 617]]

    (B) Other comparability factors. Comparability under this method is 
less dependent on close physical similarity between the products 
transferred than under the comparable uncontrolled price method. For 
example, distributors of a wide variety of consumer durables might 
perform comparable distribution functions without regard to the specific 
durable goods distributed. Substantial differences in the products may, 
however, indicate significant functional differences between the 
controlled and uncontrolled taxpayers. Thus, it ordinarily would be 
expected that the controlled and uncontrolled transactions would involve 
the distribution of products of the same general type (e.g., consumer 
electronics). Furthermore, significant differences in the value of the 
distributed goods due, for example, to the value of a trademark, may 
also affect the reliability of the comparison. Finally, the reliability 
of profit measures based on gross profit may be adversely affected by 
factors that have less effect on prices. For example, gross profit may 
be affected by a variety of other factors, including cost structures (as 
reflected, for example, in the age of plant and equipment), business 
experience (such as whether the business is in a start-up phase or is 
mature), or management efficiency (as indicated, for example, by 
expanding or contracting sales or executive compensation over time). 
Accordingly, if material differences in these factors are identified 
based on objective evidence, the reliability of the analysis may be 
affected.
    (C) Adjustments for differences between controlled and uncontrolled 
transactions. If there are material differences between the controlled 
and uncontrolled transactions that would affect the gross profit margin, 
adjustments should be made to the gross profit margin earned with 
respect to the uncontrolled transaction according to the comparability 
provisions of Sec. 1.482-1(d)(2). For this purpose, consideration of 
operating expenses associated with functions performed and risks assumed 
may be necessary, because differences in functions performed are often 
reflected in operating expenses. If there are differences in functions 
performed, however, the effect on gross profit of such differences is 
not necessarily equal to the differences in the amount of related 
operating expenses. Specific examples of the factors that may be 
particularly relevant to this method include--
    (1) Inventory levels and turnover rates, and corresponding risks, 
including any price protection programs offered by the manufacturer;
    (2) Contractual terms (e.g., scope and terms of warranties provided, 
sales or purchase volume, credit terms, transport terms);
    (3) Sales, marketing, advertising programs and services, (including 
promotional programs, rebates, and co-op advertising);
    (4) The level of the market (e.g., wholesale, retail, etc.); and
    (5) Foreign currency risks.
    (D) Sales agent. If the controlled taxpayer is comparable to a sales 
agent that does not take title to goods or otherwise assume risks with 
respect to ownership of such goods, the commission earned by such sales 
agent, expressed as a percentage of the uncontrolled sales price of the 
goods involved, may be used as the comparable gross profit margin.
    (iii) Data and assumptions--(A) In general. The reliability of the 
results derived from the resale price method is affected by the 
completeness and accuracy of the data used and the reliability of the 
assumptions made to apply this method. See Sec. 1.482-1(c) (Best method 
rule).
    (B) Consistency in accounting. The degree of consistency in 
accounting practices between the controlled transaction and the 
uncontrolled comparables that materially affect the gross profit margin 
affects the reliability of the result. Thus, for example, if differences 
in inventory and other cost accounting practices would materially affect 
the gross profit margin, the ability to make reliable adjustments for 
such differences would affect the reliability of the results. Further, 
the controlled transaction and the uncontrolled comparable should be 
consistent in the reporting of items (such as discounts, returns and 
allowances, rebates, transportation costs, insurance, and packaging) 
between cost of goods sold and operating expenses.

[[Page 618]]

    (4) Examples. The following examples illustrate the principles of 
this paragraph (c).

    Example 1. A controlled taxpayer sells property to another member of 
its controlled group that resells the property in uncontrolled sales. 
There are no changes in the beginning and ending inventory for the year 
under review. Information regarding an uncontrolled comparable is 
sufficiently complete to conclude that it is likely that all material 
differences between the controlled and uncontrolled transactions have 
been identified and adjusted for. If the applicable resale price of the 
property involved in the controlled sale is $100 and the appropriate 
gross profit margin is 20%, then an arm's length result of the 
controlled sale is a price of $80 ($100 minus (20%x$100)).
    Example 2. (i) S, a U.S. corporation, is the exclusive distributor 
for FP, its foreign parent. There are no changes in the beginning and 
ending inventory for the year under review. S's total reported cost of 
goods sold is $800, consisting of $600 for property purchased from FP 
and $200 of other costs of goods sold incurred to unrelated parties. S's 
applicable resale price and reported gross profit are as follows:

Applicable resale price.........................................   $1000
Cost of goods sold:
    Cost of purchases from FP...................................     600
    Costs incurred to unrelated parties.........................     200
Reported gross profit...........................................     200


    (ii) The district director determines that the appropriate gross 
profit margin is 25%. Therefore, S's appropriate gross profit is $250 
(i.e., 25% of the applicable resale price of $1000). Because S is 
incurring costs of sales to unrelated parties, an arm's length price for 
property purchased from FP must be determined under a two-step process. 
First, the appropriate gross profit ($250) is subtracted from the 
applicable resale price ($1000). The resulting amount ($750) is then 
reduced by the costs of sales incurred to unrelated parties ($200). 
Therefore, an arm's length price for S's cost of sales of FP's product 
in this case equals $550 (i.e., $750 minus $200).
    Example 3. FP, a foreign manufacturer, sells Product to USSub, its 
U.S. subsidiary, which in turn sells Product to its domestic affiliate 
Sister. Sister sells Product to unrelated buyers. In this case, the 
applicable resale price is the price at which Sister sells Product in 
uncontrolled transactions. The determination of the appropriate gross 
profit margin for the sale from FP to USSub will take into account the 
functions performed by USSub and Sister, as well as other relevant 
factors described in Sec. 1.482-1(d)(3).
    Example 4. USSub, a U.S. corporation, is the exclusive distributor 
of widgets for its foreign parent. To determine whether the gross profit 
margin of 25% earned by USSub is an arm's length result, the district 
director considers applying the resale price method. There are several 
uncontrolled distributors that perform similar functions under similar 
circumstances in uncontrolled transactions. However, the uncontrolled 
distributors treat certain costs such as discounts and insurance as cost 
of goods sold, while USSub treats such costs as operating expenses. In 
such cases, accounting reclassifications, pursuant to Sec. 1.482-
3(c)(3)(iii)(B), must be made to ensure consistent treatment of such 
material items. Inability to make such accounting reclassifications will 
decrease the reliability of the results of the uncontrolled 
transactions.
    Example 5. (i) USP, a U.S. corporation, manufactures Product X, an 
unbranded widget, and sells it to FSub, its wholly owned foreign 
subsidiary. FSub acts as a distributor of Product X in country M, and 
sells it to uncontrolled parties in that country. Uncontrolled 
distributors A, B, C, D, and E distribute competing products of 
approximately similar value in country M. All such products are 
unbranded.
    (ii) Relatively complete data is available regarding the functions 
performed and risks borne by the uncontrolled distributors and the 
contractual terms under which they operate in the uncontrolled 
transactions. In addition, data is available to ensure accounting 
consistency between all of the uncontrolled distributors and FSub. 
Because the available data is sufficiently complete and accurate to 
conclude that it is likely that all material differences between the 
controlled and uncontrolled transactions have been identified, such 
differences have a definite and reasonably ascertainable effect, and 
reliable adjustments are made to account for such differences, the 
results of each of the uncontrolled distributors may be used to 
establish an arm's length range pursuant to Sec. 1.482-1(e)(2)(iii)(A).
    Example 6. The facts are the same as Example 5, except that 
sufficient data is not available to determine whether any of the 
uncontrolled distributors provide warranties or to determine the payment 
terms of the contracts. Because differences in these contractual terms 
could materially affect price or profits, the inability to determine 
whether these differences exist between the controlled and uncontrolled 
transactions diminishes the reliability of the results of the 
uncontrolled comparables. However, the reliability of the results may be 
enhanced by the application of a statistical method when establishing an 
arm's length range pursuant to Sec. 1.482-1(e)(2)(iii)(B).
    Example 7. The facts are the same as in Example 5, except that 
Product X is branded with a valuable trademark that is owned by

[[Page 619]]

P. A, B, and C distribute unbranded competing products, while D and E 
distribute products branded with other trademarks. D and E do not own 
any rights in the trademarks under which their products are sold. The 
value of the products that A, B, and C sold are not similar to the value 
of the products sold by S. The value of products sold by D and E, 
however, is similar to that of Product X. Although close product 
similarity is not as important for a reliable application of the resale 
price method as for the comparable uncontrolled price method, 
significant differences in the value of the products involved in the 
controlled and uncontrolled transactions may affect the reliability of 
the results. In addition, because in this case it is difficult to 
determine the effect the trademark will have on price or profits, 
reliable adjustments for the differences cannot be made. Because D and E 
have a higher level of comparability than A, B, and C with respect to S, 
pursuant to Sec. 1.482-1(e)(2)(ii), only D and E may be included in an 
arm's length range.

    (d) Cost plus method--(1) In general. The cost plus method evaluates 
whether the amount charged in a controlled transaction is arm's length 
by reference to the gross profit markup realized in comparable 
uncontrolled transactions. The cost plus method is ordinarily used in 
cases involving the manufacture, assembly, or other production of goods 
that are sold to related parties.
    (2) Determination of arm's length price--(i) In general. The cost 
plus method measures an arm's length price by adding the appropriate 
gross profit to the controlled taxpayer's costs of producing the 
property involved in the controlled transaction.
    (ii) Appropriate gross profit. The appropriate gross profit is 
computed by multiplying the controlled taxpayer's cost of producing the 
transferred property by the gross profit markup, expressed as a 
percentage of cost, earned in comparable uncontrolled transactions.
    (iii) Arm's length range. See Sec. 1.482-1(e)(2) for determination 
of an arm's length range.
    (3) Comparability and reliability considerations--(i) In general. 
Whether results derived from the application of this method are the most 
reliable measure of the arm's length result must be determined using the 
factors described under the best method rule in Sec. 1.482-1(c).
    (ii) Comparability--(A) Functional comparability. The degree of 
comparability between controlled and uncontrolled transactions is 
determined by applying the comparability provisions of Sec. 1.482-1(d). 
A producer's gross profit provides compensation for the performance of 
the production functions related to the product or products under 
review, including an operating profit for the producer's investment of 
capital and assumption of risks. Therefore, although all of the factors 
described in Sec. 1.482-1(d)(3) must be considered, comparability under 
this method is particularly dependent on similarity of functions 
performed, risks borne, and contractual terms, or adjustments to account 
for the effects of any such differences. If possible, the appropriate 
gross profit markup should be derived from comparable uncontrolled 
transactions of the taxpayer involved in the controlled sale, because 
similar characteristics are more likely to be found among sales of 
property by the same producer than among sales by other producers. In 
the absence of such sales, an appropriate gross profit markup may be 
derived from comparable uncontrolled sales of other producers whether or 
not such producers are members of the same controlled group.
    (B) Other comparability factors. Comparability under this method is 
less dependent on close physical similarity between the products 
transferred than under the comparable uncontrolled price method. 
Substantial differences in the products may, however, indicate 
significant functional differences between the controlled and 
uncontrolled taxpayers. Thus, it ordinarily would be expected that the 
controlled and uncontrolled transactions involve the production of goods 
within the same product categories. Furthermore, significant differences 
in the value of the products due, for example, to the value of a 
trademark, may also affect the reliability of the comparison. Finally, 
the reliability of profit measures based on gross profit may be 
adversely affected by factors that have less effect on prices. For 
example, gross profit may be affected by a variety of other factors, 
including cost structures (as reflected, for example, in the age of

[[Page 620]]

plant and equipment), business experience (such as whether the business 
is in a start-up phase or is mature), or management efficiency (as 
indicated, for example, by expanding or contracting sales or executive 
compensation over time). Accordingly, if material differences in these 
factors are identified based on objective evidence, the reliability of 
the analysis may be affected.
    (C) Adjustments for differences between controlled and uncontrolled 
transactions. If there are material differences between the controlled 
and uncontrolled transactions that would affect the gross profit markup, 
adjustments should be made to the gross profit markup earned in the 
comparable uncontrolled transaction according to the provisions of Sec. 
1.482-1(d)(2). For this purpose, consideration of the operating expenses 
associated with the functions performed and risks assumed may be 
necessary, because differences in functions performed are often 
reflected in operating expenses. If there are differences in functions 
performed, however, the effect on gross profit of such differences is 
not necessarily equal to the differences in the amount of related 
operating expenses. Specific examples of the factors that may be 
particularly relevant to this method include--
    (1) The complexity of manufacturing or assembly;
    (2) Manufacturing, production, and process engineering;
    (3) Procurement, purchasing, and inventory control activities;
    (4) Testing functions;
    (5) Selling, general, and administrative expenses;
    (6) Foreign currency risks; and
    (7) Contractual terms (e.g., scope and terms of warranties provided, 
sales or purchase volume, credit terms, transport terms).
    (D) Purchasing agent. If a controlled taxpayer is comparable to a 
purchasing agent that does not take title to property or otherwise 
assume risks with respect to ownership of such goods, the commission 
earned by such purchasing agent, expressed as a percentage of the 
purchase price of the goods, may be used as the appropriate gross profit 
markup.
    (iii) Data and assumptions--(A) In general. The reliability of the 
results derived from the cost plus method is affected by the 
completeness and accuracy of the data used and the reliability of the 
assumptions made to apply this method. See Sec. 1.482-1(c) (Best method 
rule).
    (B) Consistency in accounting. The degree of consistency in 
accounting practices between the controlled transaction and the 
uncontrolled comparables that materially affect the gross profit markup 
affects the reliability of the result. Thus, for example, if differences 
in inventory and other cost accounting practices would materially affect 
the gross profit markup, the ability to make reliable adjustments for 
such differences would affect the reliability of the results. Further, 
the controlled transaction and the comparable uncontrolled transaction 
should be consistent in the reporting of costs between cost of goods 
sold and operating expenses. The term cost of producing includes the 
cost of acquiring property that is held for resale.
    (4) Examples. The following examples illustrate the principles of 
this paragraph (d).

    Example 1. (i) USP, a domestic manufacturer of computer components, 
sells its products to FS, its foreign distributor. UT1, UT2, and UT3 are 
domestic computer component manufacturers that sell to uncontrolled 
foreign purchasers.
    (ii) Relatively complete data is available regarding the functions 
performed and risks borne by UT1, UT2, and UT3, and the contractual 
terms in the uncontrolled transactions. In addition, data is available 
to ensure accounting consistency between all of the uncontrolled 
manufacturers and USP. Because the available data is sufficiently 
complete to conclude that it is likely that all material differences 
between the controlled and uncontrolled transactions have been 
identified, the effect of the differences are definite and reasonably 
ascertainable, and reliable adjustments are made to account for the 
differences, an arm's length range can be established pursuant to Sec. 
1.482-1(e)(2)(iii)(A).
    Example 2. The facts are the same as in Example 1, except that USP 
accounts for supervisory, general, and administrative costs as operating 
expenses, which are not allocated to its sales to FS. The gross profit 
markups of UT1, UT2, and UT3, however, reflect supervisory, general, and 
administrative expenses because they are accounted for as costs of

[[Page 621]]

goods sold. Accordingly, the gross profit markups of UT1, UT2, and UT3 
must be adjusted as provided in paragraph (d)(3)(iii)(B) of this section 
to provide accounting consistency. If data is not sufficient to 
determine whether such accounting differences exist between the 
controlled and uncontrolled transactions, the reliability of the results 
will be decreased.
    Example 3. The facts are the same as in Example 1, except that under 
its contract with FS, USP uses materials consigned by FS. UT1, UT2, and 
UT3, on the other hand, purchase their own materials, and their gross 
profit markups are determined by including the costs of materials. The 
fact that USP does not carry an inventory risk by purchasing its own 
materials while the uncontrolled producers carry inventory is a 
significant difference that may require an adjustment if the difference 
has a material effect on the gross profit markups of the uncontrolled 
producers. Inability to reasonably ascertain the effect of the 
difference on the gross profit markups will affect the reliability of 
the results of UT1, UT2, and UT3.
    Example 4. (i) FS, a foreign corporation, produces apparel for USP, 
its U.S. parent corporation. FS purchases its materials from unrelated 
suppliers and produces the apparel according to designs provided by USP. 
The district director identifies 10 uncontrolled foreign apparel 
producers that operate in the same geographic market and are similar in 
many respect to FS.
    (ii) Relatively complete data is available regarding the functions 
performed and risks borne by the uncontrolled producers. In addition, 
data is sufficiently detailed to permit adjustments for differences in 
accounting practices. However, sufficient data is not available to 
determine whether it is likely that all material differences in 
contractual terms have been identified. For example, it is not possible 
to determine which parties in the uncontrolled transactions bear 
currency risks. Because differences in these contractual terms could 
materially affect price or profits, the inability to determine whether 
differences exist between the controlled and uncontrolled transactions 
will diminish the reliability of these results. Therefore, the 
reliability of the results of the uncontrolled transactions must be 
enhanced by the application of a statistical method in establishing an 
arm's length range pursuant to Sec. 1.482-1(e)(2)(iii)(B).

    (e) Unspecified methods--(1) In general. Methods not specified in 
paragraphs (a)(1), (2), (3), (4), and (5) of this section may be used to 
evaluate whether the amount charged in a controlled transaction is arm's 
length. Any method used under this paragraph (e) must be applied in 
accordance with the provisions of Sec. 1.482-1. Consistent with the 
specified methods, an unspecified method should take into account the 
general principle that uncontrolled taxpayers evaluate the terms of a 
transaction by considering the realistic alternatives to that 
transaction, and only enter into a particular transaction if none of the 
alternatives is preferable to it. For example, the comparable 
uncontrolled price method compares a controlled transaction to similar 
uncontrolled transactions to provide a direct estimate of the price to 
which the parties would have agreed had they resorted directly to a 
market alternative to the controlled transaction. Therefore, in 
establishing whether a controlled transaction achieved an arm's length 
result, an unspecified method should provide information on the prices 
or profits that the controlled taxpayer could have realized by choosing 
a realistic alternative to the controlled transaction. As with any 
method, an unspecified method will not be applied unless it provides the 
most reliable measure of an arm's length result under the principles of 
the best method rule. See Sec. 1.482-1(c). Therefore, in accordance 
with Sec. 1.482-1(d) (Comparability), to the extent that a method 
relies on internal data rather than uncontrolled comparables, its 
reliability will be reduced. Similarly, the reliability of a method will 
be affected by the reliability of the data and assumptions used to apply 
the method, including any projections used.
    (2) Example. The following example illustrates an application of the 
principle of this paragraph (e).

    Example. Amcan, a U.S. company, produces unique vessels for storing 
and transporting toxic waste, toxicans, at its U.S. production facility. 
Amcan agrees by contract to supply its Canadian subsidiary, Cancan, with 
4000 toxicans per year to serve the Canadian market for toxicans. Prior 
to entering into the contract with Cancan, Amcan had received a bona 
fide offer from an independent Canadian waste disposal company, Cando, 
to serve as the Canadian distributor for toxicans and to purchase a 
similar number of toxicans at a price of $5,000 each. If the 
circumstances and terms of the Cancan supply contract are sufficiently 
similar to those of the Cando offer, or sufficiently reliable 
adjustments can be made for differences between them, then the Cando 
offer price of

[[Page 622]]

$5,000 may provide reliable information indicating that an arm's length 
consideration under the Cancan contract will not be less than $5,000 per 
toxican.

    (f) Coordination with intangible property rules. The value of an 
item of tangible property may be affected by the value of intangible 
property, such as a trademark affixed to the tangible property (embedded 
intangible). Ordinarily, the transfer of tangible property with an 
embedded intangible will not be considered a transfer of such intangible 
if the controlled purchaser does not acquire any rights to exploit the 
intangible property other than rights relating to the resale of the 
tangible property under normal commercial practices. Pursuant to Sec. 
1.482-1(d)(3)(v), however, the embedded intangible must be accounted for 
in evaluating the comparability of the controlled transaction and 
uncontrolled comparables. For example, because product comparability has 
the greatest effect on an application of the comparable uncontrolled 
price method, trademarked tangible property may be insufficiently 
comparable to unbranded tangible property to permit a reliable 
application of the comparable uncontrolled price method. The effect of 
embedded intangibles on comparability will be determined under the 
principles of Sec. 1.482-4. If the transfer of tangible property 
conveys to the recipient a right to exploit an embedded intangible 
(other than in connection with the resale of that item of tangible 
property), it may be necessary to determine the arm's length 
consideration for such intangible separately from the tangible property, 
applying methods appropriate to determining the arm's length result for 
a transfer of intangible property under Sec. 1.482-4. For example, if 
the transfer of a machine conveys the right to exploit a manufacturing 
process incorporated in the machine, then the arm's length consideration 
for the transfer of that right must be determined separately under Sec. 
1.482-4.

[T.D. 8552, 59 FR 35011, July 8, 1994; 60 FR 16382, Mar. 30, 1995]