转让定价

港股IPO招股书披露先例 · 99 家公司,99 项

转让定价事项一般指集团内跨境交易(如货物购销、服务提供及公司间融资)的定价合规性及相关潜在税务风险。申请人通常于风险因素、业务及财务资料等章节披露集团内跨境交易的性质与规模、转让定价政策及基准研究情况,多会聘请独立转让定价或税务顾问按国际通行方法进行审阅分析,并说明往绩期间未受税务机关质询、调查或调整,或已建立持续监控与合规机制。

2025-10-20Prospectus
三一重工股份有限公司SANY HEAVY INDUSTRY CO., LTD.06031.HK

跨境集团内转让定价安排

During the Track Record Period and up to the Latest Practicable Date, our Company, our controlled affiliates and subsidiaries had been engaged in certain material intra-company transactions involving the buy-sell transactions of tangible goods, provision of services and leasing arrangements.

Business · 第 297 页

We have appointed Ernst & Young (China) Advisory Limited, an international professional accounting firm as our transfer pricing consultant (the “Transfer Pricing Consultant”) to review our transfer pricing arrangements.

Business · 第 298 页

The Transfer Pricing Consultant is of the view that the risk of potential transfer pricing adjustment is remote.

Business · 第 298 页
公司的解释、律师意见及原文页码定位:在 Matters 中查看
2025-10-14Prospectus
深圳市广和通无线股份有限公司Fibocom Wireless Inc.00638.HK

跨国关联交易转让定价合规性

We follow the guidelines set forth by the Organization for Economic Co-operation and Development (“OECD”) Transfer Pricing Guidelines (“OECD Transfer Pricing Guidelines”), which are generally consistent with the tax laws of jurisdictions involved in our intra-group transactions, including mainland China, Hong Kong, Taiwan, the United States and Europe.

Business · 第 242 页

We have engaged an independent Transfer Pricing Consultant, Grant Thornton, to conduct benchmarking studies (the “Benchmarking Study”) on the Covered Transactions, in accordance with the OECD Transfer Pricing Guidelines.

Business · 第 242 页

During the Track Record Period and up to the Latest Practicable Date, to the knowledge of our Directors, we were not aware of any inquiries, audit, investigation or challenge by any relevant tax authorities in mainland China, Hong Kong, Taiwan, the United States and Europe in relation to the Covered Transactions.

Business · 第 243 页
公司的解释、律师意见及原文页码定位:在 Matters 中查看
2025-08-25Prospectus
奥克斯电气有限公司AUX ELECTRIC CO., LTD.02580.HK

跨境集团内交易的转让定价安排及审查

During the same period, our international intra-group transactions primarily included (i) exporting products from AUX Import & Export to affiliated overseas companies in selected overseas jurisdictions for sales to our overseas distributors and customers; (ii) exporting semi-finished products from AUX Import & Export to the production base in Thailand and manufacturing into finished products for subsequent sales; and

Business · 第 196 页

(iii) receiving R&D services from the R&D center in Japan (together, the “Covered Transactions”).

Business · 第 196 页

The Transfer Pricing Advisor conducted an independent analysis and considers the transfer pricing arrangements of the Covered Transactions to be compliant with the arm’s length principle in accordance with the OECD Transfer Pricing Guidelines during the Track Record Period.

Business · 第 196 页
公司的解释、律师意见及原文页码定位:在 Matters 中查看
2025-06-17Prospectus
湖北香江电器股份有限公司X.J. ELECTRICS (HU BEI) CO., LTD02619.HK

涉及多司法辖区转让定价安排

During the Track Record Period, our Group’s intra-group transactions, which involved subsidiaries in Hong Kong, the PRC and the U.S., primarily included tangible goods buy-sell, with total revenue amount of RMB1,089.7 million, RMB1,251.8 million, and RMB1,583.9 million in FY2022, FY2023 and FY2024, respectively (collectively, the “Covered Transactions”).

Business · 第 258 页

Based on the Benchmark Study prepared based on representations made by and information provided by the Company, our Transfer Pricing Consultant is of the view, and theランプ Sponsor concurs, that our intra-group transactions in the PRC, Hong Kong and the United States during the Track Record Period align with the arm’s length principles that no transfer pricing adjustment that trigger additional tax was identified from applicable transfer pricing laws and regulations perspective; and our Group as a whole is not exposed to the risk of underpayment of corporate income tax in the PRC, Hong Kong and the United States where the Relevant Subsidiaries are located during the Track Record Period.

Business · 第 262 页
公司的解释、律师意见及原文页码定位:在 Matters 中查看
2025-03-17Prospectus
南山铝业国际控股有限公司Nanshan Aluminium International Holdings Limited02610.HK

GAI向BAI采购氧化铝的转让定价安排

During the Track Record Period, some of our sales were made through GAI, and our Group's major intra-group transaction was GAI's purchase of alumina (including aluminium hydroxide) from BAI ("Covered Transaction").

Business · 第 237 页

The transfer pricing adviser has compared the OMs of GAI (i.e., tested party) during the Track Record Period with the three-year (for the period 2020 to 2022) weighted average inter-quartile range of OMs for independent comparable companies and discovered that GAI's OM from its distribution activities for the Track Record Period lies below the inter-quartile range of OM achieved by the set of independent comparable companies.

Business · 第 239 页

On the basis of the above, it was concluded by the benchmarking study performed that the Covered Transaction during the Track Record Period is in accordance with the arm's length principle from a Singapore transfer pricing perspective and has complied with the Singapore TP Guidelines with respect to requiring the related party transaction to be carried out on an arm's length basis.

Business · 第 239 页
公司的解释、律师意见及原文页码定位:在 Matters 中查看
2025-02-28Prospectus
赤峰吉隆黄金矿业股份有限公司Chifeng Jilong Gold Mining Co., Ltd.06693.HK

跨境集团内交易转让定价及加纳补税

These transactions are regarded as transfer pricing arrangements.

Business · 第 396 页

GSWL received a tax demand notice of US$7,082,002.81 in May 2024 and GSWL has charged the whole amount to income statement and increased tax provision at the same time.

Business · 第 396 页

Based on the transfer pricing reviews mentioned above, our transfer pricing arrangements in 2021, 2022 and 2023 were generally within the profit range that was considered an appropriate range for arm’s length transactions in 2021, 2022 and 2023.

Business · 第 397 页
公司的解释、律师意见及原文页码定位:在 Matters 中查看
2024-12-31Prospectus
上海汇舸环保科技集团股份有限公司CONTIOCEAN ENVIRONMENT TECH GROUP CO., LTD.02613.HK

跨国集团内部交易与转让定价合规性

During the Track Record Period, our Group’s subsidiaries in the PRC, Hong Kong, Singapore, Portugal and Norway have engaged in the following five types of intercompany transactions, namely (i) product buy-sell transactions, (ii) technical services, (iii) sales support services, (iv) R&D support services and (v) administrative service.

Business · 第 220 页

Our Directors, together with the Transfer Pricing Tax Consultant, are of the view that the abovementioned Covered Transactions were largely consistent and in compliance with the relevant transfer pricing regulations and OECD TPG during the Track Record Period in material aspects.

Business · 第 227 页
公司的解释、律师意见及原文页码定位:在 Matters 中查看
2024-12-30Prospectus
纽曼思健康食品控股有限公司Numans Health Food Holdings Company Limited02530.HK

Numans Sales服务费转让定价安排

As Numans Sales did not have office and employees during the Track Record Period, the PRC Subsidiaries provided sales support and administrative services to Numans Sales and charged Numans Sales service fees.

Business · 第 248 页

Our Tax Adviser advised that the Service Fee complied with the arm’s length principle and as such the transfer pricing arrangement complied with the relevant PRC tax laws.

Business · 第 249 页
公司的解释、律师意见及原文页码定位:在 Matters 中查看
2024-09-23Prospectus

跨境集团内部交易及转让定价调整

During the Track Record Period, our Group’s intra-group transactions, which involved subsidiaries in Hong Kong, the PRC, Japan, the United States, Indonesia, India, Philippines, Singapore, and Malaysia, included tangible goods buy-sell and operational support service transactions, with total values of RMB61.1 million, RMB163.9 million, RMB697.0 million, and RMB182.3 million in 2021, 2022, 2023 and the three months ended March 31, 2024, respectively (collectively, the “Covered Transactions”).

Business · 第 279 页

We have engaged an independent transfer pricing advisor, Acclime Tax Advisory (Hong Kong) Limited, (the “Transfer Pricing Advisor”) to conduct benchmarking studies (the “Benchmarking Study”) on the Covered Transactions, in accordance with the OECD Transfer Pricing Guidelines.

Business · 第 282 页

Our Transfer Pricing Advisor is of the opinion that after the Transfer Pricing Adjustments, the profit levels of the relevant subsidiaries are reasonable and commensurate with their respective functions and risks, and our transfer pricing arrangement aligns with the arm’s length principle according to the OECD Transfer Pricing Guidelines.

Business · 第 284 页
公司的解释、律师意见及原文页码定位:在 Matters 中查看
2024-06-21Prospectus
元续科技控股有限公司METASURFACE TECHNOLOGIES HOLDINGS LIMITED08637.HK

新加坡与马来西亚关联交易的转让定价分析

To assess the intra-group transactions between Metasurface Technologies and SGP Malaysia, the Transfer Pricing Consultant conducted benchmarking analysis to search for comparable companies performing similar manufacturing functions and producing similar products as SGP Malaysia.

Business · 第 210 页

A total of 36 companies are identified as performing similar functions and producing similar products as SGP Malaysia and a five-year weighted average FCMU interquartile range of 3.36% to 7.61%, with a median of 5.16% were recorded.

Business · 第 210 页

For the years ended 31 December 2022 and 2023, SGP Malaysia achieved a FCMU of 7.51% and 9.87%, respectively.

Business · 第 210 页
公司的解释、律师意见及原文页码定位:在 Matters 中查看
2024-05-24Prospectus
优博控股有限公司UBoT Holding Limited08529.HK

跨境关联交易及转让定价安排

For finished goods being sold to UBoT Inc. (HK), they will be further sold to independent customers around the world.

Business · 第 240 页

According to the data selection procedures and analysis performed under the Transfer Pricing Analysis, the berry ratios of UBoT Inc. (SG) calculated for FY2021 (1.02), FY2022 (1.15) and FY2023 (0.95) fell below the inter-quartile range of the average berry ratios for the comparable companies from 2019 to 2021 (i.e. between 1.12 and 1.84, with a median of 1.49) and that from 2020 to 2022 (i.e. between 1.29 and 1.96, with a median of 1.70) respectively^(Note)^.

Business · 第 244 页

In this regard, since the amounts of the overall tax liability adjustments are minimal, our Tax Consultant does not foresee any material income tax provision required even under the transfer pricing adjustment scenarios.

Business · 第 245 页
公司的解释、律师意见及原文页码定位:在 Matters 中查看
2024-03-13Prospectus
米高集团控股有限公司MIGAO GROUP HOLDINGS LIMITED09879.HK

跨境内部交易及转让定价安排

During the Track Record Period, Guangdong Migao held KCL automatic import licences. It purchased and imported KCL from overseas suppliers directly for our Group and sold the KCL to our other PRC subsidiaries for further granulating, manufacturing or selling purposes.

Business · 第 265 页

Singapore Migao purchased finished products, mainly SOP, from Guangdong Migao and Changchun Migao for ongoing sales to overseas customers during the Track Record Period.

Business · 第 266 页

The Transfer Pricing Consultant considered the reasons provided by our management are legitimate business reasons.

Business · 第 269 页
公司的解释、律师意见及原文页码定位:在 Matters 中查看
2024-02-29Prospectus
泓基集团(控股)有限公司WK Group (Holdings) Limited02535.HK

集团内部跨境加工交易按成本加成定价

All the fabricated structural steel products processed by Wing Kei Dongguan are then transferred to Wing Kei Hong Kong on a cost plus basis, for onward use in our Group’s structural steel projects in Hong Kong.

Business · 第 196 页

Wing Kei Dongguan recorded net loss in FY2020 and FY2022 and such net loss position in FY2020 and FY2022 were mainly due to the impact of COVID-19 pandemic.

Business · 第 196 页

Our executive Directors, after considering the analysis result and reviewing the transfer pricing study prepared by our independent tax adviser, are of the view that the Transfer Pricing Arrangements were carried out on an arm’s length basis in a material respect and does not result in material reduction to Wing Kei Dongguan’s taxable income in the PRC for the three years ended 31 December 2022.

Business · 第 199 页
公司的解释、律师意见及原文页码定位:在 Matters 中查看
2023-12-19Prospectus
深圳市优必选科技股份有限公司UBTECH ROBOTICS CORP LTD09880.HK

跨境关联交易占8.45%并完成转让定价审查

During the Track Record Period, almost all of our Group’s intercompany buy-sell transactions were conducted within Mainland China, while only a small amount of cross-border intercompany buy-sell transactions (i.e. around 8.45% of the total intercompany buy-sell transactions during the Track Record Period) were conducted between our Group’s Chinese and overseas entities.

Business · 第 280 页

Our Group has engaged an independent transfer pricing tax consultant, namely Shenzhen Qianhai PricewaterhouseCoopers Business Consulting Services Co., Limited ("Transfer Pricing Consultant"), to conduct a transfer pricing review, including benchmarking studies, to evaluate the transfer pricing arrangement in relation to the above-mentioned intra-group transactions.

Business · 第 282 页

Our Directors, together with the Transfer Pricing Consultant, are of the view that the abovementioned intercompany transactions of our Group were in line with the arm’s length principle and our Group has been in compliance with the relevant transfer pricing laws and regulations during the Track Record Period and up to the Latest Practicable Date.

Business · 第 283 页
公司的解释、律师意见及原文页码定位:在 Matters 中查看
2023-12-12Prospectus
泛远国际控股集团有限公司FAR International Holdings Group Company Limited02516.HK

深圳环球易购与Global Link跨境安排

For individuals and businesses in the PRC requesting cross-border e-commerce logistics services from the PRC to Hong Kong, or from the PRC to overseas countries passing through Hong Kong, Shenzhen Global Link was principally the engagement party for such services, and responsible for the liaison with the customers in the PRC, including the confirmation of orders from customers via our order system, collecting the parcels from the customers and arranging the delivery of parcels from the PRC to Hong Kong.

Business · 第 286 页

Thereafter, Global Link was engaged by Shenzhen Global Link for further arrangement of the delivery of parcels in Hong Kong, or delivery of parcels to overseas countries by other logistics service providers engaged by Global Link.

Business · 第 286 页
公司的解释、律师意见及原文页码定位:在 Matters 中查看
2023-10-16Prospectus
极兔速递环球有限公司J&T Global Express Limited01519.HK

集团内跨境服务及转让定价安排

Our Company, our controlled affiliated entities and our subsidiaries conduct intra-group provisions of services and other related party transactions in accordance with our transfer pricing policy.

Business · 第 255 页

Based on the transfer pricing review, it is indicated that the license fee rate and the profit level indicators of the licensees are generally within the profit range that was considered an appropriate range for the arm’s length transactions during the Track Record Period and up to the Latest Practicable Date.

Business · 第 256 页

Based on the above, and as advised by our tax advisers, our Directors are of the view that the above-mentioned inter-company transactions are in line with the arm’s length principle and we are in compliance with the relevant transfer pricing laws and regulations during the Track Record Period and up to the Latest Practicable Date.

Business · 第 256 页
公司的解释、律师意见及原文页码定位:在 Matters 中查看
2023-09-13Prospectus
乐舱物流股份有限公司LC Logistics, Inc.02490.HK

集团内跨境交易的转让定价安排

In this regard, we have engaged an independent transfer pricing consultant, Ernst & Young (China) Advisory Limited, (the "Transfer Pricing Consultant"), an international professional accounting firm in the PRC, to review our transfer pricing arrangements from an arm's length compliance perspective.

Business · 第 274 页

Based on the Transfer Pricing Consultant's review, Transfer Pricing Consultant is of the view that the weighted average price and profit level of the Covered Transactions fell within their respective profit range of arm's length transactions during the Track Record Period and, as a result, our pricing arrangements were in accordance with the OECD Transfer Pricing Guidelines.

Business · 第 274 页

Our Directors confirm that during the Track Record Period and up to the Latest Practicable Date, we were not aware of any outstanding enquiries, audit, investigation or challenge by any tax authorities in Hong Kong and the PRC in relation to our intra-group transactions and transfer pricing arrangements.

Business · 第 275 页
公司的解释、律师意见及原文页码定位:在 Matters 中查看
2023-03-21Prospectus
力盟科技集团有限公司POWERWIN TECH GROUP LIMITED02405.HK

境内子公司跨境集团内服务转让定价

During the Track Record Period, certain of our PRC subsidiaries provided intragroup research and development services and commercial support services to Powerwin Media, one of our Hong Kong subsidiaries.

Financial Information · 第 296 页

The evaluation of uncertain tax positions associated with such type of transactions involves significant judgment as to the ultimate outcome, the interpretation and application of the relevant tax laws and the determination of the appropriate transfer pricing that reflects the location of value creation.

Financial Information · 第 296 页
公司的解释、律师意见及原文页码定位:在 Matters 中查看
2023-03-14Prospectus
洲际船务集团控股有限公司Seacon Shipping Group Holdings Limited02409.HK

集团内跨境服务交易的转让定价

During the Track Record Period, Seacon Enterprise was engaged by Seacon Shipping and the MSI-AIS ANCs for the provision of ship operation services, pursuant to which Seacon Enterprise is responsible for (a) searching and negotiating for and executing the chartering of vessels and/or transport of cargo; (b) conducting assessment and settlement of voyages, calculating charter hire, freight, demurrage, despatch and other charges, and collecting income and fees from third parties; (c) issuing voyage instructions; and (d) other matters relating to the operation of vessels controlled by Seacon Shipping and the MSI-AIS ANCs.

Business · 第 337 页

The Tax Adviser noted that the full cost mark-up (''FCMU'') ratios achieved by Seacon Ships Qingdao in the Subcontracting Arrangement ranged from 16% to 20% during the years ended December 31, 2019, 2020 and 2021 as follows:

Business · 第 338 页

Given the aforementioned FCMU ratios are on the high side based on the Tax Adviser's experience in other benchmarking studies for ship management companies whose functional profiles are comparable to Seacon Ships Qingdao in the Subcontracting Arrangement, the Tax Adviser is of the view that the risk of Seacon Qingdao being challenged by the relevant PRC tax authorities on its transfer pricing arrangement in the Subcontracting Arrangement during the Track Record Period is remote.

Business · 第 338 页
公司的解释、律师意见及原文页码定位:在 Matters 中查看

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