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Have the OECD Transfer Pricing Guidelines influenced the development of domestic legislation for transfer pricing and the outcome of court decisions in selected African states?

The Organisation for Economic Cooperation and Development (OECD) Transfer Pricing Guidelines (TPG) is a soft law instrument that acts as a guide to many multinational entities (MNE) in applying the arm's length principle (ALP). Amongst OECD member states, the OECD TPG is a relevant instrument to pro...

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Main Author: Ismail, Mohamed Waseem
Other Authors: West, Craig
Format: Thesis
Language:English
English
Published: Department of Finance and Tax 2025
Subjects:
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access_status_str Open Access
author Ismail, Mohamed Waseem
author2 West, Craig
author_browse Ismail, Mohamed Waseem
West, Craig
author_facet West, Craig
Ismail, Mohamed Waseem
author_sort Ismail, Mohamed Waseem
collection Thesis
description The Organisation for Economic Cooperation and Development (OECD) Transfer Pricing Guidelines (TPG) is a soft law instrument that acts as a guide to many multinational entities (MNE) in applying the arm's length principle (ALP). Amongst OECD member states, the OECD TPG is a relevant instrument to provide guidance to MNEs and Tax Administrations on how to apply the ALP. In transfer pricing legal disputes, international court judgments discussing the ALP touch on the influence of the OECD TPG. Every case may vary depending on the circumstances in each case and the time the ALP was enacted as part of hard law. This paper aims to answer the question, “Have the OECD TPG influenced the development of domestic legislation for transfer pricing and the outcome of court decisions in selected African states?” A sample of literature was reviewed to understand the use of the OECD TPG as a soft law instrument within the international law landscape. Thereafter, a sample of international TP case law that references the OECD TPG was inspected to understand and analyse the stance of the OECD TPG. A systematic review was conducted on a sample of international transfer pricing court judgments to determine the weighting that the OECD TPG acts as a soft law instrument in the international tax community. A sample of African TP disputes in Ghana, Kenya, Malawi, Nigeria, South Africa, Tanzania, Uganda, Zambia and Zimbabwe was inspected to understand the status of the OECD TPG by the courts and the subsequent developments within the domestic tax legislation since the court judgment to determine whether the OECD TPG had any influence in shaping its domestic tax legislation. Through this analysis, the author attempted to understand the influential status of the OECD TPG within an African regional context despite many African countries not holding a member status with the OECD and some African countries holding observer status or act as key partners with the OECD. Where the domestic TP tax legislation lacks guidance on the application of the ALP, the OECD TPG does hold a higher status in most OECD member countries. The status of the OECD TPG varies across different jurisdictions in the sample of countries selected. It should be noted that the case law inspected is not exhaustive of the court decisions discussing the ALP for all African countries. The OECD TPG status within Africa started as a soft law instrument, but over time, it has proven to be a focal area in developing TP regulations and the domestic TP tax legislative frameworks in Africa.
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institution University of Cape Town (South Africa)
language English
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license_str Not specified — see source repository
provenance_str_mv Harvested via OAI-PMH from UCTD — University of Cape Town Open Access Repository
publishDate 2025
publishDateRange 2025
publishDateSort 2025
publisher Department of Finance and Tax
publisherStr Department of Finance and Tax
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spelling oai:open.uct.ac.za:11427/41716 Have the OECD Transfer Pricing Guidelines influenced the development of domestic legislation for transfer pricing and the outcome of court decisions in selected African states? Ismail, Mohamed Waseem West, Craig finance tax African countries The Organisation for Economic Cooperation and Development (OECD) Transfer Pricing Guidelines (TPG) is a soft law instrument that acts as a guide to many multinational entities (MNE) in applying the arm's length principle (ALP). Amongst OECD member states, the OECD TPG is a relevant instrument to provide guidance to MNEs and Tax Administrations on how to apply the ALP. In transfer pricing legal disputes, international court judgments discussing the ALP touch on the influence of the OECD TPG. Every case may vary depending on the circumstances in each case and the time the ALP was enacted as part of hard law. This paper aims to answer the question, “Have the OECD TPG influenced the development of domestic legislation for transfer pricing and the outcome of court decisions in selected African states?” A sample of literature was reviewed to understand the use of the OECD TPG as a soft law instrument within the international law landscape. Thereafter, a sample of international TP case law that references the OECD TPG was inspected to understand and analyse the stance of the OECD TPG. A systematic review was conducted on a sample of international transfer pricing court judgments to determine the weighting that the OECD TPG acts as a soft law instrument in the international tax community. A sample of African TP disputes in Ghana, Kenya, Malawi, Nigeria, South Africa, Tanzania, Uganda, Zambia and Zimbabwe was inspected to understand the status of the OECD TPG by the courts and the subsequent developments within the domestic tax legislation since the court judgment to determine whether the OECD TPG had any influence in shaping its domestic tax legislation. Through this analysis, the author attempted to understand the influential status of the OECD TPG within an African regional context despite many African countries not holding a member status with the OECD and some African countries holding observer status or act as key partners with the OECD. Where the domestic TP tax legislation lacks guidance on the application of the ALP, the OECD TPG does hold a higher status in most OECD member countries. The status of the OECD TPG varies across different jurisdictions in the sample of countries selected. It should be noted that the case law inspected is not exhaustive of the court decisions discussing the ALP for all African countries. The OECD TPG status within Africa started as a soft law instrument, but over time, it has proven to be a focal area in developing TP regulations and the domestic TP tax legislative frameworks in Africa. 2025-09-08T10:12:57Z 2025-09-08T10:12:57Z 2025 2025-08-18T13:38:25Z Thesis / Dissertation Masters MCom http://hdl.handle.net/11427/41716 en eng application/pdf Department of Finance and Tax Faculty of Commerce Universiy of Cape Town
spellingShingle finance
tax
African countries
Ismail, Mohamed Waseem
Have the OECD Transfer Pricing Guidelines influenced the development of domestic legislation for transfer pricing and the outcome of court decisions in selected African states?
thesis_degree_str Master's
title Have the OECD Transfer Pricing Guidelines influenced the development of domestic legislation for transfer pricing and the outcome of court decisions in selected African states?
title_full Have the OECD Transfer Pricing Guidelines influenced the development of domestic legislation for transfer pricing and the outcome of court decisions in selected African states?
title_fullStr Have the OECD Transfer Pricing Guidelines influenced the development of domestic legislation for transfer pricing and the outcome of court decisions in selected African states?
title_full_unstemmed Have the OECD Transfer Pricing Guidelines influenced the development of domestic legislation for transfer pricing and the outcome of court decisions in selected African states?
title_short Have the OECD Transfer Pricing Guidelines influenced the development of domestic legislation for transfer pricing and the outcome of court decisions in selected African states?
title_sort have the oecd transfer pricing guidelines influenced the development of domestic legislation for transfer pricing and the outcome of court decisions in selected african states
topic finance
tax
African countries
url http://hdl.handle.net/11427/41716
work_keys_str_mv AT ismailmohamedwaseem havetheoecdtransferpricingguidelinesinfluencedthedevelopmentofdomesticlegislationfortransferpricingandtheoutcomeofcourtdecisionsinselectedafricanstates