Belgian Government approved new draft legislation to implement TP documentation and CbC reporting requirements

25 June, 2016

The Government of Belgium has approved new draft legislation to effectively implement CbC reporting and introduce formal transfer pricing documentation requirements in Belgium. The draft legislation is according to 3 tiered approach of Action 13 of

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Austria: Proposes legislation on Transfer Pricing documentation and CbC reporting

08 June, 2016

The Austrian Ministry of Finance (MoF) has published draft legislation to implement the Master File in line with the new OECD standard. The legislation includes a requirement to prepare a Master file, Local file(s), and CbCR. The new requirements

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Germany: Ministry of Finance introducing CbCR, Master File and Local File

05 June, 2016

The German Ministry of Finance published a draft bill on 1 June 2016 to incorporate guidance on transfer pricing documentation and country-by-country (CbC) reporting into local legislation. The draft bill required multinationals with consolidated

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Belgium would introduce Cbc reporting and transfer pricing documentation requirements

18 May, 2016

A draft law that would introduce country-by-country reporting and formal transfer pricing documentation requirements at present is in the process of being finalized in Belgium. Cbc reporting Belgium has proposed draft legislation to introduce the

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Sweden Proposes Implementation of BEPS 13

02 May, 2016

The Swedish Tax Agency (STA) has proposed to implement transfer pricing documentation and Country-by-Country (CbC) Reporting. As per the proposal, the Master File reporting obligations will be applicable to MNEs that have more than 250 employees and

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Portugal-Budget Law for 2016 implements country-by-country reporting requirements

10 April, 2016

The Portuguese Budget Law for 2016 has been approved on 16 March 2016. The approved Budget Law implements country-by-country reporting requirements. Country-by-Country (CbC) reporting requirement will be applicable for domestic entities with

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Turkey: Draft communiqué on transfer pricing documentation, country-by-country reporting

18 March, 2016

The revenue administration of Turkey has issued a draft communiqué on 16th March 2016 that would introduce new transfer pricing documentation rules that generally follow the base erosion and profit shifting (BEPS) Action 13 recommendations and

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The Dutch Parliament approved bill on supplementary transfer pricing documentation requirements

08 January, 2016

The Dutch Parliament approved the Other Fiscal Measures Bill that includes supplementary transfer pricing documentation requirements in order with the three tiered approach of Action 13 of the OECD Base Erosion and Profit Shifting (BEPS) project, on

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South Africa: SARS announces to implement country-by-country reporting requirement

03 January, 2016

In line with the OECD base erosion and profit shifting (BEPS) initiative (action 13), effective 1 January 2016, South Africa Revenue Service (SARS) has announced that it will implement country-by country (CbC) reporting. The CbC report is the third

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Mexico: New requirements for documentation

12 December, 2015

Mexico has introduced transfer pricing documentation requirements for a master file and local file in line with the OECD Base Erosion and Profit Shifting (BEPS) project from 1 January 2016. It will be mandatory to prepare this information for

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Mexico: Lower Chamber approves tax reform for 2016

04 November, 2015

Mexico’s President submitted to Congress tax reform for 2016 on 8 September 2015 was approved by the Lower Chamber with certain adjustments, on 29 October 2015. As per the tax reform proposal which is expected to be signed by the President to

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Australia introduced multinational anti-avoidance law, CbC reporting and increased penalties

01 October, 2015

The Treasurer of Australia introduced a Bill to implement the announced multinational anti-avoidance law to apply to foreign multinationals generating certain profits earned from Australia without an Australian permanent establishment;

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The Netherlands -Draft law implementing new transfer pricing documentation requirements

20 September, 2015

The Dutch State Secretary of Finance released a draft law providing changes to the Dutch Corporate Income Tax Act 1969 on 15 September 2015. The proposed changes involve supplementary transfer pricing documentation requirements in line with the

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Korea: Draft law for implementing BEPS-related transfer pricing requirements

24 August, 2015

The Ministry of Strategy and Finance of South Korea has released draft legislation for amending existing provisions of Korean law. The draft legislation generally follows Action 13 of the OECD/ G20 project on base erosion and profit shifting

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Australia: New transfer pricing documentation standards

10 August, 2015

On 6 August 2015, the Australian Treasury released exposure draft law to implement reporting requirements for large multinational businesses in line with recommendations by the OECD and G20. In the 2015-16 Budget, the Australian government announced

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Poland: Draft Regulation Introducing Amendments Based on BEPS Documentation Requirements

26 May, 2015

The Polish Ministry of Finance published a draft regulation on 27 April 2015 which introduced amendments on transfer pricing documentation in line with the requirements of the OECD/G20 action plan on base erosion and profit shifting

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OECD: Transfer pricing documentation – Country by Country Reporting

02 November, 2014

Action 13 of the action plan on Base Erosion and Profit Shifting (BEPS) is concerned with supplying the tax administration with sufficient information to allow them to assess transfer pricing risk. The guidance issued by the OECD in September 2014

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Australia: ATO dispatched International Structuring, Profit Shifting field Program

16 December, 2013

The Australian Taxation Office (ATO) in accordance with current base erosion and profit shifting (BEPS) activities dispatched an “international structuring and profit shifting” (ISAPS) field review program. This is a decentralized national

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