December 20, 2025
Transfer pricing and a tax loss. When does the domestic exemption apply?
The domestic exemption under the CIT Act allows taxpayers to refrain from preparing transfer pricing documentation if the parties to the transaction did not incur a tax loss in the source of income to which the transaction relates. A loss in another source (e.g. capital gains) does not exclude the exemption. The exemption applies only to documentation obligations – it does not relieve the taxpayer from applying arm’s length prices or from TPR reporting. The key is the correct allocation of the transaction to the relevant source of income and the analysis of the tax result within that source.






