Pricing of a Guarantee Fee in a Related-Party Context

Journal
United States
International Transfer Pricing Journal 2010 (Volume 17), No. 4
In a recent case, Container Corporation v. Commissioner, the US Tax Court addressed the question of the source of a loan guarantee fee paid by a domestic corporation to a foreign parent corporation for purposes of determining whether there is a US withholding tax obligation. The case provides a good vehicle for the discussion of the transfer pricing aspects of guarantee fees.