Transfer Pricing - Canada
Canadian transfer pricing adheres to the “arm’s length principle” as developed and framed by the OECD, which is meant to be adopted in section 247 of the Income Tax Act (ITA). Specifically, Canada adheres to the “arm’s length principle” for measuring the income of Canadian taxpayers arising from transactions with non-arm’s length non-residents.
The OECD Guidelines and the CRA’s administrative statements on transfer pricing in the Information Circular (originally and as revised) as well as other related CRA publications have a significant practical influence on the administration of transfer pricing tax law in Canada and have been judicially considered.