[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: 26CFR1.482-6]

[Page 638-642]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.482-6  Profit split method.

    (a) In general. The profit split method evaluates whether the 
allocation of the combined operating profit or loss attributable to one 
or more controlled transactions is arm's length by reference to the 
relative value of each controlled taxpayer's contribution to that 
combined operating profit or loss. The combined operating profit or loss 
must be derived from the most narrowly identifiable business activity of 
the controlled taxpayers for which data is available that includes the 
controlled transactions (relevant business activity).
    (b) Appropriate share of profits and losses. The relative value of 
each controlled taxpayer's contribution to the success of the relevant 
business activity must be determined in a manner that reflects the 
functions performed, risks assumed, and resources employed by each 
participant in the relevant business activity, consistent with the 
comparability provisions of Sec. 1.482-1(d)(3). Such an allocation is 
intended to correspond to the division of profit or loss that would 
result from an arrangement between uncontrolled taxpayers, each 
performing functions similar to those of the various controlled 
taxpayers engaged in the relevant business activity. The profit 
allocated to any particular member of a controlled group is not 
necessarily limited to the total operating profit of the group from the 
relevant business activity. For example, in a given year, one member of 
the group may earn a profit while another member incurs a loss. In 
addition, it may not be assumed that the combined operating profit or 
loss from the relevant business activity should be shared equally, or in 
any other arbitrary proportion. The specific method of allocation must 
be determined under paragraph (c) of this section.
    (c) Application--(1) In general. The allocation of profit or loss 
under the

[[Page 639]]

profit split method must be made in accordance with one of the following 
allocation methods--(i) The comparable profit split, described in 
paragraph (c)(2) of this section; or
    (ii) The residual profit split, described in paragraph (c)(3) of 
this section.
    (2) Comparable profit split--(i) In general. A comparable profit 
split is derived from the combined operating profit of uncontrolled 
taxpayers whose transactions and activities are similar to those of the 
controlled taxpayers in the relevant business activity. Under this 
method, each uncontrolled taxpayer's percentage of the combined 
operating profit or loss is used to allocate the combined operating 
profit or loss of the relevant business activity.
    (ii) Comparability and reliability considerations--(A) In general. 
Whether results derived from application of this method are the most 
reliable measure of the arm's length result is determined using the 
factors described under the best method rule in Sec. 1.482-1(c).
    (B) Comparability--(1) In general. The degree of comparability 
between the controlled and uncontrolled taxpayers is determined by 
applying the comparability provisions of Sec. 1.482-1(d). The 
comparable profit split compares the division of operating profits among 
the controlled taxpayers to the division of operating profits among 
uncontrolled taxpayers engaged in similar activities under similar 
circumstances. Although all of the factors described in Sec. 1.482-
1(d)(3) must be considered, comparability under this method is 
particularly dependent on the considerations described under the 
comparable profits method in Sec. 1.482-5(c)(2), because this method is 
based on a comparison of the operating profit of the controlled and 
uncontrolled taxpayers. In addition, because the contractual terms of 
the relationship among the participants in the relevant business 
activity will be a principal determinant of the allocation of functions 
and risks among them, comparability under this method also depends 
particularly on the degree of similarity of the contractual terms of the 
controlled and uncontrolled taxpayers. Finally, the comparable profit 
split may not be used if the combined operating profit (as a percentage 
of the combined assets) of the uncontrolled comparables varies 
significantly from that earned by the controlled taxpayers.
    (2) Adjustments for differences between the controlled and 
uncontrolled taxpayers. If there are differences between the controlled 
and uncontrolled taxpayers that would materially affect the division of 
operating profit, adjustments must be made according to the provisions 
of Sec. 1.482-1(d)(2).
    (C) Data and assumptions. The reliability of the results derived 
from the comparable profit split is affected by the quality of the data 
and assumptions used to apply this method. In particular, the following 
factors must be considered--
    (1) The reliability of the allocation of costs, income, and assets 
between the relevant business activity and the participants' other 
activities will affect the accuracy of the determination of combined 
operating profit and its allocation among the participants. If it is not 
possible to allocate costs, income, and assets directly based on factual 
relationships, a reasonable allocation formula may be used. To the 
extent direct allocations are not made, the reliability of the results 
derived from the application of this method is reduced relative to the 
results of a method that requires fewer allocations of costs, income, 
and assets. Similarly, the reliability of the results derived from the 
application of this method is affected by the extent to which it is 
possible to apply the method to the parties' financial data that is 
related solely to the controlled transactions. For example, if the 
relevant business activity is the assembly of components purchased from 
both controlled and uncontrolled suppliers, it may not be possible to 
apply the method solely to financial data related to the controlled 
transactions. In such a case, the reliability of the results derived 
from the application of this method will be reduced.
    (2) The degree of consistency between the controlled and 
uncontrolled taxpayers in accounting practices that materially affect 
the items that determine the amount and allocation of operating profit 
affects the reliability of

[[Page 640]]

the result. Thus, for example, if differences in inventory and other 
cost accounting practices would materially affect operating profit, the 
ability to make reliable adjustments for such differences would affect 
the reliability of the results. Further, accounting consistency among 
the participants in the controlled transaction is required to ensure 
that the items determining the amount and allocation of operating profit 
are measured on a consistent basis.
    (D) Other factors affecting reliability. Like the methods described 
in Sec. Sec. 1.482-3, 1.482-4, and 1.482-5, the comparable profit split 
relies exclusively on external market benchmarks. As indicated in Sec. 
1.482-1(c)(2)(i), as the degree of comparability between the controlled 
and uncontrolled transactions increases, the relative weight accorded 
the analysis under this method will increase. In addition, the 
reliability of the analysis under this method may be enhanced by the 
fact that all parties to the controlled transaction are evaluated under 
the comparable profit split. However, the reliability of the results of 
an analysis based on information from all parties to a transaction is 
affected by the reliability of the data and the assumptions pertaining 
to each party to the controlled transaction. Thus, if the data and 
assumptions are significantly more reliable with respect to one of the 
parties than with respect to the others, a different method, focusing 
solely on the results of that party, may yield more reliable results.
    (3) Residual profit split--(i) In general. Under this method, the 
combined operating profit or loss from the relevant business activity is 
allocated between the controlled taxpayers following the two-step 
process set forth in paragraphs (c)(3)(i)(A) and (B) of this section.
    (A) Allocate income to routine contributions. The first step 
allocates operating income to each party to the controlled transactions 
to provide a market return for its routine contributions to the relevant 
business activity. Routine contributions are contributions of the same 
or a similar kind to those made by uncontrolled taxpayers involved in 
similar business activities for which it is possible to identify market 
returns. Routine contributions ordinarily include contributions of 
tangible property, services and intangibles that are generally owned by 
uncontrolled taxpayers engaged in similar activities. A functional 
analysis is required to identify these contributions according to the 
functions performed, risks assumed, and resources employed by each of 
the controlled taxpayers. Market returns for the routine contributions 
should be determined by reference to the returns achieved by 
uncontrolled taxpayers engaged in similar activities, consistent with 
the methods described in Sec. Sec. 1.482-3, 1.482-4 and 1.482-5.
    (B) Allocate residual profit. The allocation of income to the 
controlled taxpayers' routine contributions will not reflect profits 
attributable to the controlled group's valuable intangible property 
where similar property is not owned by the uncontrolled taxpayers from 
which the market returns are derived. Thus, in cases where such 
intangibles are present there normally will be an unallocated residual 
profit after the allocation of income described in paragraph 
(c)(3)(i)(A) of this section. Under this second step, the residual 
profit generally should be divided among the controlled taxpayers based 
upon the relative value of their contributions of intangible property to 
the relevant business activity that was not accounted for as a routine 
contribution. The relative value of the intangible property contributed 
by each taxpayer may be measured by external market benchmarks that 
reflect the fair market value of such intangible property. 
Alternatively, the relative value of intangible contributions may be 
estimated by the capitalized cost of developing the intangibles and all 
related improvements and updates, less an appropriate amount of 
amortization based on the useful life of each intangible. Finally, if 
the intangible development expenditures of the parties are relatively 
constant over time and the useful life of the intangible property of all 
parties is approximately the same, the amount of actual expenditures in 
recent years may be used to estimate the relative value of intangible 
contributions. If the intangible property contributed by one of the 
controlled

[[Page 641]]

taxpayers is also used in other business activities (such as 
transactions with other controlled taxpayers), an appropriate allocation 
of the value of the intangibles must be made among all the business 
activities in which it is used.
    (ii) Comparability and reliability considerations--(A) In general. 
Whether results derived from this method are the most reliable measure 
of the arm's length result is determined using the factors described 
under the best method rule in Sec. 1.482-1(c). Thus, comparability and 
the quality of data and assumptions must be considered in determining 
whether this method provides the most reliable measure of an arm's 
length result. The application of these factors to the residual profit 
split is discussed in paragraph (c)(3)(ii)(B), (C), and (D) of this 
section.
    (B) Comparability. The first step of the residual profit split 
relies on market benchmarks of profitability. Thus, the comparability 
considerations that are relevant for the first step of the residual 
profit split are those that are relevant for the methods that are used 
to determine market returns for the routine contributions. The second 
step of the residual profit split, however, may not rely so directly on 
market benchmarks. Thus, the reliability of the results under this 
method is reduced to the extent that the allocation of profits in the 
second step does not rely on market benchmarks.
    (C) Data and assumptions. The reliability of the results derived 
from the residual profit split is affected by the quality of the data 
and assumptions used to apply this method. In particular, the following 
factors must be considered--
    (1) The reliability of the allocation of costs, income, and assets 
as described in paragraph (c)(2)(ii)(C)(1) of this section;
    (2) Accounting consistency as described in paragraph 
(c)(2)(ii)(C)(2) of this section;
    (3) The reliability of the data used and the assumptions made in 
valuing the intangible property contributed by the participants. In 
particular, if capitalized costs of development are used to estimate the 
value of intangible property, the reliability of the results is reduced 
relative to the reliability of other methods that do not require such an 
estimate, for the following reasons. First, in any given case, the costs 
of developing the intangible may not be related to its market value. 
Second, the calculation of the capitalized costs of development may 
require the allocation of indirect costs between the relevant business 
activity and the controlled taxpayer's other activities, which may 
affect the reliability of the analysis. Finally, the calculation of 
costs may require assumptions regarding the useful life of the 
intangible property.
    (D) Other factors affecting reliability. Like the methods described 
in Sec. Sec. 1.482-3, 1.482-4, and 1.482-5, the first step of the 
residual profit split relies exclusively on external market benchmarks. 
As indicated in Sec. 1.482-1(c)(2)(i), as the degree of comparability 
between the controlled and uncontrolled transactions increases, the 
relative weight accorded the analysis under this method will increase. 
In addition, to the extent the allocation of profits in the second step 
is not based on external market benchmarks, the reliability of the 
analysis will be decreased in relation to an analysis under a method 
that relies on market benchmarks. Finally, the reliability of the 
analysis under this method may be enhanced by the fact that all parties 
to the controlled transaction are evaluated under the residual profit 
split. However, the reliability of the results of an analysis based on 
information from all parties to a transaction is affected by the 
reliability of the data and the assumptions pertaining to each party to 
the controlled transaction. Thus, if the data and assumptions are 
significantly more reliable with respect to one of the parties than with 
respect to the others, a different method, focusing solely on the 
results of that party, may yield more reliable results.
    (iii) Example. The provisions of this paragraph (c)(3) are 
illustrated by the following example.

    Example--Application of Residual Profit Split. (i) XYZ is a U.S. 
corporation that develops, manufactures and markets a line of products 
for police use in the United States. XYZ's research unit developed a 
bulletproof material for use in protective clothing and headgear 
(Nulon). XYZ obtains patent protection for

[[Page 642]]

the chemical formula for Nulon. Since its introduction in the U.S., 
Nulon has captured a substantial share of the U.S. market for 
bulletproof material.
    (ii) XYZ licensed its European subsidiary, XYZ-Europe, to 
manufacture and market Nulon in Europe. XYZ-Europe is a well- 
established company that manufactures and markets XYZ products in 
Europe. XYZ-Europe has a research unit that adapts XYZ products for the 
defense market, as well as a well-developed marketing network that 
employs brand names that it developed.
    (iii) XYZ-Europe's research unit alters Nulon to adapt it to 
military specifications and develops a high-intensity marketing campaign 
directed at the defense industry in several European countries. 
Beginning with the 1995 taxable year, XYZ-Europe manufactures and sells 
Nulon in Europe through its marketing network under one of its brand 
names.
    (iv) For the 1995 taxable year, XYZ has no direct expenses 
associated with the license of Nulon to XYZ-Europe and incurs no 
expenses related to the marketing of Nulon in Europe. For the 1995 
taxable year, XYZ-Europe's Nulon sales and pre-royalty expenses are $500 
million and $300 million, respectively, resulting in net pre-royalty 
profit of $200 million related to the Nulon business. The operating 
assets employed in XYZ-Europe's Nulon business are $200 million. Given 
the facts and circumstances, the district director determines under the 
best method rule that a residual profit split will provide the most 
reliable measure of an arm's length result. Based on an examination of a 
sample of European companies performing functions similar to those of 
XYZ-Europe, the district director determines that an average market 
return on XYZ-Europe's operating assets in the Nulon business is 10 
percent, resulting in a market return of $20 million (10% X $200 
million) for XYZ- Europe's Nulon business, and a residual profit of $180 
million.
    (v) Since the first stage of the residual profit split allocated 
profits to XYZ-Europe's contributions other than those attributable to 
highly valuable intangible property, it is assumed that the residual 
profit of $180 million is attributable to the valuable intangibles 
related to Nulon, i.e., the European brand name for Nulon and the Nulon 
formula (including XYZ-Europe's modifications). To estimate the relative 
values of these intangibles, the district director compares the ratios 
of the capitalized value of expenditures as of 1995 on Nulon-related 
research and development and marketing over the 1995 sales related to 
such expenditures.
    (vi) Because XYZ's protective product research and development 
expenses support the worldwide protective product sales of the XYZ 
group, it is necessary to allocate such expenses among the worldwide 
business activities to which they relate. The district director 
determines that it is reasonable to allocate the value of these expenses 
based on worldwide protective product sales. Using information on the 
average useful life of its investments in protective product research 
and development, the district director capitalizes and amortizes XYZ's 
protective product research and development expenses. This analysis 
indicates that the capitalized research and development expenditures 
have a value of $0.20 per dollar of global protective product sales in 
1995.
    (vii) XYZ-Europe's expenditures on Nulon research and development 
and marketing support only its sales in Europe. Using information on the 
average useful life of XYZ-Europe's investments in marketing and 
research and development, the district director capitalizes and 
amortizes XYZ-Europe's expenditures and determines that they have a 
value in 1995 of $0.40 per dollar of XYZ-Europe's Nulon sales.
    (viii) Thus, XYZ and XYZ-Europe together contributed $0.60 in 
capitalized intangible development expenses for each dollar of XYZ-
Europe's protective product sales for 1995, of which XYZ contributed 
one-third (or $0.20 per dollar of sales). Accordingly, the district 
director determines that an arm's length royalty for the Nulon license 
for the 1995 taxable year is $60 million, i.e., one-third of XYZ-
Europe's $180 million in residual Nulon profit.

[T.D. 8552, 59 FR 35025, July 8, 1994; 60 FR 16382, Mar. 30, 1995]