Australia: ATO issues guidance on loss carry back tax offset

16 December, 2020

The Australian Taxation Office (ATO) published guidance on the loss carry back offset relief introduced as part of measures for the 2020-21 Budget. Loss carry back provides a refundable tax offset that eligible corporate entities can

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Russia’s possible termination of DTT with the Netherlands

15 December, 2020

Roustam VakhitovInternational Tax PartnerCrowe Expertiza+3 164 082 6427roustam.vakhitov@crowerus.ru On 4 December 2020 the Russian Ministry of Finance announced initiation of the termination of DTT with the Netherlands due to absence of process

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Kenya publishes the law reversing the tax rates provided due to COVID 19

15 December, 2020

On 27 November 2020, the National Treasury has published the Tax Laws (Amendment) (No.2) Bill, 2020 (“the Bill”) in the Kenya Gazette Supplement No.216 (National Assembly Bills No.48). The law seeks to reverse the major tax concessions

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Namibia deposits BEPS MLI ratification instrument

15 December, 2020

On 9 December 2020, Namibia deposited its ratification instrument for the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting (MLI).  The MLI will enter into force for Namibia on 1 April

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Malaysia: The Finance Bill 2020 includes transfer pricing measures

15 December, 2020

On 16 November 2020, Malaysia issued the Finance Bill 2020 (Bill No. DR 17/2020) including following proposals related to transfer pricing provision.   Penalties for failure to prepare transfer pricing documentation There is currently no

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IMF: Report following 2020 Article IV Mission to Nigeria

14 December, 2020

On 11 December 2020 the IMF published a report following consultations with Nigeria in relation to Article IV of the IMF’s articles of association. The COVID-19 pandemic has hit Nigeria’s economy which was already experiencing problems with

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Germany: Ministry of Finance publishes new transfer pricing guidance

14 December, 2020

On 3 December 2020, the Federal Ministry of Finance (BMF) has published the Administrative Principles 2020, which contain updated guidelines on audits / reviews of transfer prices between related parties and the responsibility of taxpayers to

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Spain: Senate approves the law for the ratification of BEPS MLI

14 December, 2020

On 2 December 2020, the Spanish Senate adopted the law for the ratification of BEPS MLI. On 7 June 2017, Spain signed the Multilateral Instrument (MLI). Spain will need to deposit its ratification instrument to bring the MLI into force for its

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Singapore publishes income tax amendment Act 2020

14 December, 2020

On 7 December 2020, Singapore published the Income Tax (Amendment) Act 2020 and the Goods and Services Tax (Amendment) Act 2020 in the Official Gazette. The two Acts were approved in parliament on 3 November and assented to by the President on 25

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Denmark: Government publishes an Act to set the timeline for filing TP documentation

14 December, 2020

On 9 December 2020, the Ministry of Taxation Officially published L 28 Proposal for a Law No. 1835 of 8 December 2020 to establish the timeline for filing transfer pricing (TP) documentation and amends the Corporation Tax Act and various other acts

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Brazil: Revenue sets thresholds for simplified tax regime in 2021

14 December, 2020

On 18 November 2020, the Revenue published an Ordinance No. 30 of 18 November 2020, setting the revenue limits for the purpose of paying state tax on the sale of goods, interstate and inter-municipal transportation and communication services (ICMS)

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Australia: ATO releases final guidance on related party loan

12 December, 2020

On 10 December 2020, the Australian Taxation Office (ATO) issued final transfer pricing guidance on interest-free loans between related parties, in “Schedule 3 – Interest-free loans” to the ATO’s financing Practical Compliance Guideline

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OECD: Assessing Compliance by Financial Institutions with Automatic Exchange of Information

11 December, 2020

On 8 December 2020 the OECD published a document entitled Automatic Exchange of Information: Guide on Promoting and Assessing Compliance by Financial Institutions. The guide has been put together with the help of the of the tax administrations of

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Tax Treaty News: December 2020

11 December, 2020

Botswana and Czech RepublicOn 26 November 2020, the Double Taxation Agreement (DTA) between Botswana and the Czech Republic entered into force for the avoidance of double taxation and the prevention of fiscal evasion with respect to taxes on

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Philippines: Finance Department issues Corporate Tax Reform

11 December, 2020

On 29 November 2020, the Department of Finance announced that the Senate passed of the Corporate Recovery and Tax Incentives for Enterprises (CREATE) Act, which was a redesigned version of corporate tax reform package. The CREATE Act as approved by

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Poland publishes law amending corporate income tax act

11 December, 2020

On 30 November 2020, the act amending the Corporate Income Tax Act was published in the Polish Journal of Laws and thus entered into force. The amendment introduces compliance of limited partnership having their management or registered office in

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World Tax Brief: December 2020

11 December, 2020

BelgiumFiling return: On 12 November 2020, the Belgian Minister of Finance announced a further extension of the filing corporate income tax returns to 30 November 2020 for the Assessment Year 2020.See the story in RegfollowerBulgariaFiling return:

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Nigeria: FIRS issues a notice regarding interest and penalties relief

11 December, 2020

On 1 December 2020, the Federal Inland Revenue Service (FIRS) issued a notice stated that taxpayers can apply for a relief from interest and penalties until 31 December 2020 on outstanding taxes arising from audit related tasks, investigations, or

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