Your Single Source for Global Tax
TaxSpoc Logo

Denmark | Transfer Pricing

January 15, 2025

Accenture Secures Landmark Victory in the Danish Supreme Court

First Ruling Favoring a Taxpayer in a Transfer Pricing Case

Accenture Secures Landmark Victory in the Danish Supreme Court

January 9, 2025, the Danish Supreme Court delivered a groundbreaking judgment in a significant transfer pricing dispute between Accenture A/S and the Danish Ministry of Taxation. The Court ruled in favor of Accenture, marking the first instance where the Supreme Court has sided with a taxpayer in a transfer pricing case.

 

CASE BACKGROUND

In 2001, Accenture Group’s operating entities, including Accenture in Denmark, entered into the International Assignment Agreement (IAA), governing the leasing of employees between group companies. This agreement stipulated that leasing companies would pay the direct and indirect wage costs with a fixed profit margin.

Additionally, in 2006, Accenture entered into a license agreement requiring them to pay a fixed percentage of their external client revenue as royalties for using intangible assets owned by another group entity.

The dispute centered on the Ministry of Taxation’s challenge to Accenture’s transfer pricing documentation and the arm's length nature of transactions conducted within the Accenture Group. The Ministry argued that:

  • the documentation was insufficient 

and 

  • that the transactions did not comply with arm's length principles.

 

SUPREME COURT RULING

 

Profit Mark-Up

The Supreme Court ruled that the Ministry of Taxation did not prove Accenture’s transfer pricing documentation (2005-2011) was so deficient it could be considered non-existent.

  • The documentation adhered to OECD guidelines, employed the Cost Plus method, and included a comprehensive analysis of functions, risks, and comparability.

  • Disagreements with the Ministry over the pricing method or analysis did not make the documentation inadequate.

As a result, Accenture's income related to employee leasing costs for 2005-2011 could not be adjusted on an estimated basis, as the Ministry failed to show that the profit mark-up was not at arm's length.

 

Royalty Rate

For the 2007 income year, the Court found no significant deficiency in Accenture’s transfer pricing documentation regarding royalty payments.

  • The documentation followed OECD guidelines, used the Residual Profit Split method, and included detailed function, risk, and comparability analyses.

  • The Ministry of Taxation did not prove that the royalty rate was not at arm's length, so Accenture's 2007 income could not be estimated discretionarily.

 

A Historic Decision

This ruling overturns the High Court’s previous decision and it is the first instance where the Supreme Court has ruled in favor of a taxpayer in a transfer pricing dispute.

The decision underscores the importance of adhering to international guidelines in transfer pricing documentation.

 

SOURCE/RECOMMENDED READ: 

 

About Authors:

Egypt | VAT

Egyptian Tax Authority (ETA) Rolls Out a Transparent, Hassle-Free VAT System for Global Providers of Digital and Remote Services.

Italy | VAT

Italy Seeks Nearly €1 Billion in VAT payments from Meta, X, and LinkedIn, Targeting Transactions from 2015 to 2022

Egypt | Tax Policy

Fostering Trust, Partnership, and Business Confidence Through Fair and Efficient Tax Services

EU | Customs

The European Commission extends tariff suspension on U.S. imports until April 14, 2025, aiming to resolve trade tensions and avoid escalation

OECD BEPS | Turkey

Amount B will not be applied to transactions involving distributors, sales agents, and brokers operating in Turkey

Saudi Arabia | Big 4

The ban could lead Saudi authorities to implement stricter compliance regulations for consulting firms

EU | Transfer Pricing

MNEs will be required to submit their first top-up tax information return by 30 June 2026, tax authorities will need to exchange this information by 31 December 2026

EU | Tax Policy

Focus on Green Transition, Addressing the VAT gap, and Commitment to Global Tax Reform are some of the priorities

Reach your target audience

Contact us at hello@taxspoc.com

TaxSpoc Logo

Follow Us:

Taxspoc, UAB 2024. The Taxspoc is not responsible for the content of external sites.