Introduction
Transfer pricing rules around the world are built on a single foundation: the arm’s-length principle. To determine whether related-party transactions comply with this principle, tax authorities rely heavily on Functional and Risk Analysis (FAR). A robust FAR analysis is the backbone of defensible TP documentation without it, even the most sophisticated benchmarking or economic analysis becomes meaningless.
This article explains what the FAR analysis is, why it matters, how it impacts method selection and profit allocation, and how multinational companies can ensure their FAR framework withstands audit scrutiny.
1. What Is FAR Analysis in Transfer Pricing?
FAR stands for:
Functions performed
Assets employed
Risks assumed
A FAR analysis evaluates how value is created within a multinational group and determines which entities are entitled to which level of profit.
FAR answers core TP questions:
Who does what?
Who uses which assets?
Who controls and bears which risks?
Who contributes to value creation?
Who should earn routine vs. residual profit?
This makes FAR the primary determinant of transfer pricing outcomes.
2. Functional Analysis: Understanding What Each Entity Does
Functional analysis identifies each entity’s contributions. Typical functions include:
Operational Functions
Manufacturing
Procurement
Distribution
Logistics
Support Functions
HR
IT
Finance
Accounting
Strategic Functions
R&D
Product development
IP management
Market strategy
Why Functions Matter
Entities performing routine functions (distribution, back-office support, contract manufacturing) are typically rewarded with routine margins, while entities performing high-value or strategic functions (IP development, product design, leadership) are entitled to higher returns.
3. Asset Analysis: Identifying the Assets Used
Assets can be:
Tangible Assets
Machinery
Buildings
Vehicles
Equipment
Intangible Assets
Trademarks
Patents
Software
Customer relationships
Proprietary technology
Why Assets Matter
Entities owning valuable intangibles or capital-intensive assets typically deserve higher profitability, while service-oriented entities with limited assets earn lower margins.
4. Risk Analysis: The Most Critical Part of FAR
Modern TP focuses heavily on risk control, especially after OECD BEPS Actions 8–10.
Key risks include:
Market risk
Product liability risk
Inventory risk
Credit risk
Foreign exchange risk
Operational risk
Strategic and decision-making risk
Why Risk Matters
Under OECD rules:
Entities that control and bear risk are entitled to higher returns.
Example:
A distributor that does not own inventory risk becomes a limited-risk distributor, earning a smaller margin.
5. How FAR Analysis Influences Transfer Pricing Method Selection
CUP vs TNMM vs Cost-Plus
If an entity performs high-value functions → CUP or Profit Split may be appropriate
If it performs routine support services → Cost-Plus
If it performs routine distribution/manufacturing → TNMM
The transfer pricing method must match the FAR profile.
6. FAR Analysis and Profit Allocation
Routine Returns
Entities with:
Limited functions
No valuable assets
Low or controlled risk
→ earn low but stable profits
Residual Returns
Entities with:
High-value functions
Strategic decision power
Ownership of intangibles
Ability to assume and control risk
→ earn high profits
This framework ensures global profit aligns with value creation.
7. FAR in OECD Audits: Why Tax Authorities Focus on It
Tax authorities rely on FAR to detect:
Misallocation of profits
Base erosion
Risk outsourcing
Shifting of functions without shifting actual control
Artificial arrangements or shell entities
If FAR is weak, audits become aggressive especially in:
MENA region
GCC markets
Africa
EU
A strong FAR analysis significantly reduces disputes.
8. Practical Steps to Build a Strong FAR Analysis
1. Interview Key Personnel
Document real operational behavior — not just organizational charts.
2. Map Functions, Assets, and Risks Clearly
Prepare diagrams showing how activities flow.
3. Evaluate Control Over Risk
Who makes decisions? Who approves? Who monitors?
4. Align FAR with Legal Agreements
Legal contracts must match operational reality.
5. Ensure FAR Matches Financial Outcomes
Profit levels must reflect FAR conclusions.
6. Update Annually
Business models change FAR must adapt.
9. Common Mistakes to Avoid
Copy-pasting FAR from prior years
Overstating or understating functions
Ignoring digital and IP-related functions
Misclassifying limited-risk distributors
Assigning risks without actual control
Documenting risks without financial capacity
Tax authorities challenge these immediately.
Conclusion
Functional and Risk Analysis (FAR) is the cornerstone of transfer pricing documentation. It defines value creation, determines profit allocation, and drives method selection. A strong FAR analysis protects companies during audits, ensures arm’s-length outcomes, and aligns TP policies with global regulatory expectations.
As TP enforcement intensifies across the world especially in developing and emerging markets multinational groups must invest in accurate, detailed, and defensible FAR frameworks.



