This question seeks information to understand whether there was a cost contribution arrangement for developing, producing or obtaining assets or rights with an international related party.
TR 2004/1Income tax: international transfer pricing - cost contribution arrangements, paragraph 14 provides further detail on cost contribution arrangements. You should not include any cost contribution arrangements which are pure service arrangements, as described in TR2004/1.
If you had a cost contribution arrangement for developing, producing or obtaining assets or rights with any international related parties, answer 'Yes' at label A of question 16.