Intra-group services and licensing support

TaxIQ Africa provides technical expertise to ensure that cross-border payments for services and Intellectual Property (IP) are arm’s length
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Intra-group services and licensing support

TaxIQ Africa provides technical expertise to ensure that cross-border payments for services and Intellectual Property (IP) are arm’s length, commercially justifiable, and compliant with the substance over form requirements of African tax authorities.

Licensing & Royalty Structuring

We help clients manage the tax complexities of using group-owned intangibles:

why choose us

Intellectual Property Economic Ownership Analysis

We determine who actually performs the DEMPE functions (Development, Enhancement, Maintenance, Protection, and Exploitation). This ensures that royalty payments are made to the entity that actually creates value, not just the legal owner.

Royalty Rate Benchmarking

Using specialized databases like RoyaltyStat, we identify arm’s length royalty ranges for trademarks, trade names, patents, and proprietary know-how.

Multi-Year Analysis

Valuation of Intangibles: We provide valuation services for the transfer of IP within the group, ensuring that the exit tax or purchase price complies with local and international standards.

Intra-Group Service (IGS) Frameworks

We assist in designing and defending service charge models (Management Fees, IT Support, Technical Assistance):

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The Benefit Test Documentation

We help you compile the Business Case required by authorities like the URA or KRA, proving that the services were actually rendered and provided a clear economic benefit to the local subsidiary.

Shareholder Activity Reviews

We identify and exclude stewardship or shareholder costs (such as group audit or board meeting expenses) that are legally non-deductible at the subsidiary level.

Direct vs. Indirect Charge Methods

We advise on the most defensible way to charge for services whether through direct identification of costs or via an allocation key (e.g., revenue, headcount, or computer users).

Low Value-Adding Services Simplified Approach

For routine administrative services, TaxIQ Africa can help implement the OECD-simplified approach:

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5% Markup Application

We identify services that qualify as low value-adding (e.g., HR, accounting, or legal support) and apply the standardized 5% markup, which reduces the compliance burden and the likelihood of audit challenges.

Cost Pool Verification

We audit the cost pools to ensure only eligible pass-through costs are included, preventing the markup of taxes or third-party reimbursements.

Withholding Tax (WHT) & Treaty Management

Intra-group payments are high-risk targets for WHT assessments

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Treaty Eligibility Reviews

We verify if the recipient of the royalty or service fee qualifies as the Beneficial Owner under the relevant Double Taxation Agreement (DTA) to access reduced WHT rates.

Characterization of Payments

We advise on whether a payment should be classified as a Service Fee (often taxed at 15%) or a Royalty (which may have different treaty protections), preventing costly re-characterization by tax auditors.

Controversy & Audit Defense

Management fees and royalties are often the first items challenged during a tax audit. Our services include:

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Technical Rebuttals

We draft detailed responses to tax authority queries regarding the necessity and arm's length nature of intra-group charges.

Audit Readiness Reviews

We conduct mock audits of your current intra-group agreements and invoices to identify and fix documentation gaps before the tax authority arrives.

Legal & Contractual Support

Ensuring the legal paperwork matches the tax policy

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Intercompany Agreement (ICA) Drafting

We draft technical agreements that explicitly define the scope of services, the IP being licensed, and the specific payment terms required to meet EFRIS/eTIMS compliance.

Customs Valuation Alignment

For manufacturers, we ensure that royalty payments built into the price of imported raw materials or components are correctly disclosed for both Customs and Income Tax purposes.

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