DocsGlossary
Transfer Pricing Glossary
107 terms, A to Z — the definitions every TP study is built on: methods and PLIs, benchmarking and screening, documentation and compliance, the India-specific rules, Pillar Two, and the Quartyl product terms. Each term links to the guide that puts it to work.
Popular terms
Arm's Length Principle (ALP): Definition and How It WorksTNMM (Transactional Net Margin Method): Definition and PLIsFunctional Analysis (FAR): Functions, Assets and Risks ExplainedTested Party: Definition, Selection Logic and DocumentationInterquartile Range (IQR): The OECD Arm's Length RangeOP/OC (Operating Profit to Operating Costs): Definition and UsesSafe Harbour: Definition, India\'s 10AA/10AB and LimitsRule 10D: Local File Requirements Under India's TP RulesTPO (Transfer Pricing Officer): Powers, Process and AdjustmentsPillar Two: The 15% Global Minimum Tax at a GlanceDEMPE: Development, Enhancement, Maintenance, Protection, ExploitationComparable Set: The Group of Companies That Carries the Range
Browse by category
Core concepts
15 terms- Arm's Length Principle (ALP): Definition and How It Works
- Arm's Length Range: IQR, Mid-Point and Testing the Price
- Comparability: The 5 Factors and the 2 Screens
- Comparable Companies: What Makes a Company Comparable
- Controlled Transaction: Definition, Thresholds and Coverage
- DEMPE: Development, Enhancement, Maintenance, Protection, Exploitation
- Economic Analysis: The TP Study’s Analytical Core
- Functional Analysis (FAR): Functions, Assets and Risks Explained
- Profit Level Indicator (PLI): Definition and Common Types
- Related Party: Definition and Ownership Tests (India and OECD)
- Residual Profit: The Return on the Unique Intangibles
- Routine Return: What It Is and Why It Drives Benchmarking
- Safe Harbour: Definition, India\'s 10AA/10AB and Limits
- Tested Party: Definition, Selection Logic and Documentation
- Transfer Pricing Policy: The Company-Wide Framework
Methods
9 terms- Best Method Rule: How the OECD Chooses the Right Method
- CPM (Comparable Profits Method): Definition and the US Practice
- Cost Plus Method: Definition, Cost Base and Mark-Up
- CUP (Comparable Uncontrolled Price): Definition and Conditions
- GMM (Gross Margin Method): Definition and the India Fit
- Profit Split Method: Definition, Variants and When It Applies
- RPM (Resale Price Method): Definition and the Distributor Fit
- TNMM (Transactional Net Margin Method): Definition and PLIs
- Two-Sided Adjustment: The Correlative Relief on the TP Adjustment
PLIs & statistics
16 terms- Berry Ratio: The Related-Party Payables Indicator
- Dispersion: The Spread of the Comparables Distribution
- Interquartile Range (IQR): The OECD Arm's Length Range
- Median: The Mid-Point of the Comparables Distribution
- Multi-Year Averaging: The 1-Year vs 3-Year Data Choice
- Net Cost Plus: The Depreciation-Excluded Cost PLI
- OP/OC (Operating Profit to Operating Costs): Definition and Uses
- OP/S (Operating Profit to Sales): Definition and Uses
- Operating Margin (OM): Definition and Uses in TNMM
- OPM (Operating Profit Margin): Definition and the TPO’s Adjusted OP
- Outlier: The Comparables Value Outside the Distribution’s Logic
- Percentile: The Position in the Comparables Distribution
- ROA (Return on Assets): Definition and Uses in TNMM
- ROCE (Return on Capital Employed): Definition and Uses
- ROOA (Return on Operating Assets): Definition and Uses
- Statistical Significance: Is the Comparables Set Big Enough?
Benchmarking
9 terms- Accept-Reject Matrix: The Comparable-by-Comparable Decision Record
- Benchmark Refresh: When and How to Re-run the Comparables Study
- Comparable Set: The Group of Companies That Carries the Range
- Country Premium: The Adjustment for Where the Comparable Sits
- Extraordinary Events: The One-Off Items That Distort the Benchmark
- Industry Classification: NIC, NACE and the Search’s First Filter
- Search String: The Benchmark Query That Finds Comparables
- Size Filter: The Turnover and Asset Thresholds in Screening
- Working Capital Adjustment: The Balance-Sheet Normalisation
Documentation
10 terms- BEPS Action 13: The Three-Tier Documentation Standard
- CbCR: Country-by-Country Reporting Defined and Explained
- Contemporaneous Documentation: The 30-Day Rule in India
- Documentation Threshold: The Trigger for the TP Documentation Duties
- Form 3CEB: The Chartered Accountant’s Report on the TP Documentation
- Form 3CEBA: The Constituent Entity’s CbCR Statement
- Intercompany Agreement: The Paper Behind the Transfer Price
- Local File (Rule 10D): Definition, Triggers and Contents
- Master File (Rule 10DA): Definition, Triggers and Contents
- Penalty Protection: Blocking the TP Penalty with the Documentation
Jurisdiction-specific
15 terms- AAR (Advance Ruling): Fixing the TP Method Before the Years Are Filed
- Add-on: The TPO’s Premium Over the Benchmark Margin
- ETP (External Transfer Pricing): The Inbound Investment Pricing
- ITAT (Income Tax Appellate Tribunal): The TP Appeal Forum
- KPO (Knowledge Process Outsourcing): Definition and TP Profile
- MAA: Mark-to-Market Documentation for Intercompany Loans
- NIC Code: The Indian Industry Classification for Benchmarking Searches
- Rule 10AA: The Intra-Group Services Safe Harbour in India
- Rule 10AB: The KPO and ITeS Safe Harbour in India
- Rule 10D: Local File Requirements Under India's TP Rules
- Rule 10E: India’s CbCR Rule (Form 3CEB / 3CEBA Reporting)
- Section 92 (s.92): India’s Transfer Pricing Provision
- TDS on Transfer Pricing Payments: Interest, Royalty and Service Fees
- Thin Capitalisation: The Interest Deduction Cap
- TPO (Transfer Pricing Officer): Powers, Process and Adjustments
Transactions
14 terms- Buy-Sell Arrangement: The Double-Distribution Model
- Cash Pooling: The Intra-Group Cash Netting Arrangement
- Contract Manufacturer: The Producer That Owns No IP or Customers
- Contract R&D: Research Performed for the Client, Routine Return
- Cost Sharing Arrangement (CSA): Sharing the Cost of Building IP
- Distributor: The Buying and Reselling Entity in a TP Structure
- Exit Charge: The IP Price When a Participant Leaves
- Guarantee Fee: Pricing the Intra-Group Credit Support
- Limited-Risk Distributor: The Routine FAR Profile (LRD)
- Location Savings: The Profit Shift from Moving Functions
- LVAS: Low Value Adding Services and Their Safe-Harbour Treatment
- Royalty: The Intangible Use Fee and Its TP Treatment
- Shared Services: The Intra-Group SSC That Needs a Benefit Test
- Toll Manufacturing: Processing for the Customer’s Own Materials
International tax
14 terms- Base Erosion: What the BEPS Fight Is Actually Against
- BEPS: The OECD/G20 Base Erosion and Profit Shifting Project
- DTA: The Double Taxation Agreement That Prevents Double Tax
- ETR (Effective Tax Rate): The Jurisdictional Ratio Behind the Top-Up
- GloBE: The Global Anti-Base Erosion Rules
- IIR (Income Inclusion Rule): The Parent’s Top-Up Charge
- MAP: The Mutual Agreement Procedure for Double Tax Relief
- MTT (Minimum Top-Up Tax): The Pillar Two Charge, Abbreviated
- Permanent Establishment (PE): The Taxable Presence
- Pillar Two: The 15% Global Minimum Tax at a Glance
- QDMTT: The Domestic Minimum Top-Up Tax
- SBIE: The Substance-Based Income Exclusion in GloBE
- Top-Up Tax: The 15% Minimum Tax Charge
- UTPR (Undertaxed Profits Rule): The Secondary Top-Up Charge
Quartyl product terms
5 termsAll terms A–Z
A
Arm's Length Principle (ALP): Definition and How It WorksArm's Length Range: IQR, Mid-Point and Testing the PriceAAR (Advance Ruling): Fixing the TP Method Before the Years Are FiledAdd-on: The TPO’s Premium Over the Benchmark MarginAccept-Reject Matrix: The Comparable-by-Comparable Decision RecordAudit Packet: The Evidence Export That Defends the Study
B
Best Method Rule: How the OECD Chooses the Right MethodBerry Ratio: The Related-Party Payables IndicatorBEPS Action 13: The Three-Tier Documentation StandardBEPS: The OECD/G20 Base Erosion and Profit Shifting ProjectBenchmark Refresh: When and How to Re-run the Comparables StudyBuy-Sell Arrangement: The Double-Distribution ModelBase Erosion: What the BEPS Fight Is Actually Against
C
CbCR: Country-by-Country Reporting Defined and ExplainedComparable Companies: What Makes a Company ComparableControlled Transaction: Definition, Thresholds and CoverageContemporaneous Documentation: The 30-Day Rule in IndiaCost Plus Method: Definition, Cost Base and Mark-UpCUP (Comparable Uncontrolled Price): Definition and ConditionsCPM (Comparable Profits Method): Definition and the US PracticeComparability: The 5 Factors and the 2 ScreensComparable Set: The Group of Companies That Carries the RangeCountry Premium: The Adjustment for Where the Comparable SitsContract Manufacturer: The Producer That Owns No IP or CustomersContract R&D: Research Performed for the Client, Routine ReturnCost Sharing Arrangement (CSA): Sharing the Cost of Building IPCash Pooling: The Intra-Group Cash Netting Arrangement
D
DEMPE: Development, Enhancement, Maintenance, Protection, ExploitationDispersion: The Spread of the Comparables DistributionDocumentation Threshold: The Trigger for the TP Documentation DutiesDistributor: The Buying and Reselling Entity in a TP StructureDTA: The Double Taxation Agreement That Prevents Double TaxDefensibility Grade: The A–F Score of the Finished Study
E
ETP (External Transfer Pricing): The Inbound Investment PricingEconomic Analysis: The TP Study’s Analytical CoreETR (Effective Tax Rate): The Jurisdictional Ratio Behind the Top-UpEvidence Ledger: The Immutable Record of the Study’s EvidenceExtraordinary Events: The One-Off Items That Distort the BenchmarkExit Charge: The IP Price When a Participant Leaves
F
G
I
L
M
Master File (Rule 10DA): Definition, Triggers and ContentsMAA: Mark-to-Market Documentation for Intercompany LoansMedian: The Mid-Point of the Comparables DistributionMulti-Year Averaging: The 1-Year vs 3-Year Data ChoiceMTT (Minimum Top-Up Tax): The Pillar Two Charge, AbbreviatedMAP: The Mutual Agreement Procedure for Double Tax Relief
N
O
P
Profit Level Indicator (PLI): Definition and Common TypesProfit Split Method: Definition, Variants and When It AppliesPercentile: The Position in the Comparables DistributionPenalty Protection: Blocking the TP Penalty with the DocumentationPermanent Establishment (PE): The Taxable PresencePillar Two: The 15% Global Minimum Tax at a Glance
R
Related Party: Definition and Ownership Tests (India and OECD)Routine Return: What It Is and Why It Drives BenchmarkingRule 10D: Local File Requirements Under India's TP RulesRule 10AA: The Intra-Group Services Safe Harbour in IndiaRule 10AB: The KPO and ITeS Safe Harbour in IndiaROA (Return on Assets): Definition and Uses in TNMMROCE (Return on Capital Employed): Definition and UsesROOA (Return on Operating Assets): Definition and UsesRPM (Resale Price Method): Definition and the Distributor FitResidual Profit: The Return on the Unique IntangiblesRule 10E: India’s CbCR Rule (Form 3CEB / 3CEBA Reporting)Royalty: The Intangible Use Fee and Its TP Treatment
S
Safe Harbour: Definition, India\'s 10AA/10AB and LimitsSection 92 (s.92): India’s Transfer Pricing ProvisionStatistical Significance: Is the Comparables Set Big Enough?Search String: The Benchmark Query That Finds ComparablesSize Filter: The Turnover and Asset Thresholds in ScreeningShared Services: The Intra-Group SSC That Needs a Benefit TestSBIE: The Substance-Based Income Exclusion in GloBE
T
Tested Party: Definition, Selection Logic and DocumentationTNMM (Transactional Net Margin Method): Definition and PLIsTPO (Transfer Pricing Officer): Powers, Process and AdjustmentsTDS on Transfer Pricing Payments: Interest, Royalty and Service FeesThin Capitalisation: The Interest Deduction CapTwo-Sided Adjustment: The Correlative Relief on the TP AdjustmentTransfer Pricing Policy: The Company-Wide FrameworkTop-Up Tax: The 15% Minimum Tax ChargeToll Manufacturing: Processing for the Customer’s Own Materials
Browse other sections
Go from definition to finished study
Every term above is applied automatically in Quartyl — the method, the PLI, the screens and the adjustments, with a recorded reason for every comparable.