Kenya: Transfer pricing measures in Finance Bill 2022

27 April, 2022

On 12 April 2022, the Finance Bill 2022 was presented in the National Assembly of Kenya, which provides following tax measures related to transfer pricing. The Bill aims to amend Section 18(A) of the ITA to include transactions between residents

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Sweden Updates CbC reporting guideline

20 March, 2022

On 14 March 2022, the Swedish Tax Agency updated the country-by-country reporting (CbC) guidelines for multinational companies (MNEs). The guidelines introduced the following updates: 1) Annual notification requirements for Swedish

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Jordan: ISTD publishes transfer pricing and CbC Notification forms

14 March, 2022

Recently, the Jordan Income and Sales Tax Department (ISTD) has published new transfer pricing and country-by-country (CbC) Notification forms (Arabic language) in line with executive instructions No. 3 of 16 September 2021. Transfer pricing

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France: Government updates list of exempted countries for CbC report local filing obligations

22 February, 2022

On 14 February 2022, Government published Decree of 14 February 2022, which amends the Order 6 July 2017 pursuant to II of Article 223 quinquies C of the General Tax Code. The new Decree updates the exemption from local filing provided in the

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Thailand introduces new CbC reporting requirements

20 February, 2022

On 12 January 2022, the Thai Revenue Department has issued Notification No. 419 with following additional provisions to the CbC reporting requirements: For CbC reporting, the “reporting entity” must register for e-filing via one of two

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Jordan:  ISTD issues guide on CbC reporting requirements

07 February, 2022

On 2 February 2022, the Jordan Income and Sales Tax Department (ISTD) has issued a press release clarifying the issuance of a guide related to the preparation and submission of Country-by-Country (CbC) reports. ISTD has published the guidelines

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Nigeria: FIRS withdraws suspension of CbC reporting obligations for non-parent entities

14 January, 2022

On 4 January 2022, the Federal Inland Revenue Service (FIRS) issued a new Public Notice to announce that the withdrawal of its Public Notice of 6 May 2021 which suspended local filing obligations contained in Regulation 4 of the Income Tax (CbC

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Ireland: Government seeks Public Consultation on CbC tax reporting

27 December, 2021

On 20 December 2021, the Department of Enterprise, Trade and Employment is seeking the views of stakeholders through a Consultation on the transposition of the new EU directive requiring public country-by-country (CbC) reporting of income tax

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Kenya: KRA invites public comments on draft CbC reporting regulation

27 November, 2021

On 19 November 2021, Kenya Revenue Authority has opened a consultation on a country-by-country (CbC) reporting regulation. Accordingly, the National Treasury and Planning and Kenya Revenue Authority would like to inform Multinational Enterprises

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Taiwan notifies affiliates of MNEs on submission of Master File and CbC report

11 November, 2021

On 9 November 2021, Taiwan’s National Tax Bureau of the Southern Area has indicated that affiliates of multinational enterprises in Taiwan, which meet the threshold to submit Master File or Country-by-Country (CbC) Report, shall not only disclose

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Thailand introduces CbC reporting

25 October, 2021

On 15 October 2021, the Thai Revenue Department released guidance concerning the transfer pricing requirements with regard to country-by-country (CbC) reporting for accounting periods beginning on or after 1 January 2021. The guidance is referred

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Dominican Republic: Government establishes thresholds and filing obligation of CbC report

19 October, 2021

On 5 October 2021, the Government established specific regulations for the country-by-country report through general standard on August 2021. The general rule is aligned with the model legislation included in the OECD’s base erosion and profit

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Serbia publishes rulebook on updating transfer pricing rules

11 October, 2021

On 1 October 2021, the Serbian Ministry of Finance has published the updated rulebook on transfer pricing. The updated rulebook includes the more detailed guidance regarding CbC report including the conditions, content, and manner of submitting

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Malaysia: IRBM releases updated FAQs providing new CbCR submission requirement

13 September, 2021

On 13 September 2021, the Inland Revenue Board of Malaysia (IRBM) has published the updated “frequently asked questions on tax matters during the national recovery plan”. Accordingly, companies in Malaysia responsible for filing the CbCR report

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Nigeria: FIRS suspends CbC report local filing for non-parent entities

31 August, 2021

In September 2013, the Organization for Economic Co-operation and Development (OECD) and G20 countries, working together on an equal footing, adopted an ambitious and comprehensive 15-point Action Plan to address BEPS. The Action Plan aims to

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Dominican Republic: DGII invites for public comments regarding CbC reporting requirements

20 August, 2021

Recently, the Directorate General of Internal Revenue (DGII) declared a public consultation on a draft general standard regarding country-by-country (CbC) reporting. The DGII invited for public comments up to 7 September 2021. The CbC report

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Luxembourg updates electronic exchange and frequently asked questions of CbC report

20 August, 2021

On 20 August 2021, Luxembourg has announced that the section "Electronic exchange - country by country (CbC) reporting" as well as the frequently asked questions relating to the CbC declaration have been updated. Please note that the frequently

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Colombia issues Resolution on transfer pricing return and CbC notifications

20 August, 2021

On 11 August 2021, the Colombian National Tax Authority (Dirección de Impuestos y Aduanas Nacionales-DIAN) has issued Resolution No. 000072 setting out the procedure of the submission of the transfer pricing return and CbC notification for the tax

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