Profit split method

(g) Profit split method(1) In general. The profit split method evaluates whether the allocation of the combined operating profit or loss attributable to one or more controlled transactions is arm's length by reference to the relative value of each controlled taxpayer's contribution to that combined operating profit or loss. The relative value of each controlled taxpayer's contribution is determined in a manner that reflects the functions performed, risks assumed and resources employed by such controlled taxpayer in the relevant business activity. For application of the profit split method (both the comparable profit split and the residual profit split), see 1.4826. The residual profit split method may not be used where only one controlled taxpayer makes significant nonroutine contributions.

Source

26 CFR § 1.482-9


Scoping language

None
Is this correct? or