Chile: IRS issues guidelines regarding anti-avoidance rules

14 August, 2015

The Inland Revenue Service (IRS) in Chile has issued total 7 circulars including Circulars 65 and 68 on 23rd July 2015 for giving directions won the anti-avoidance rules enacted as part of Law No. 20780. The circulars contain limitations on the

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US: IRS Issued New Revenue Procedures on Competent Authority and Advance Pricing Agreement

14 August, 2015

The IRS has issued two revenue procedures on August 12, 2015 with details guidance to request assistance from the US competent authority under income tax treaties and to obtain an advance pricing agreement (APA) program. The proposed version of

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Ecuador-new regulations on transfer pricing documentation requirements

12 August, 2015

Recently Ecuador’s Internal Revenue Service (IRS) has issued regulations giving outlines to new transfer pricing documentation requirements. The new regulations require taxpayers to include substantial information on the economic substance of

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Australia: Stronger penalties to fight against multinational tax avoidance

10 August, 2015

The Government of Australia announced double the maximum administrative penalties that can be applied by the Commissioner of Taxation to large companies that enter into tax avoidance and profit shifting schemes. The increased penalties, under

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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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US Treasury to develop regulations implementing CbC reporting requirement

09 August, 2015

US Treasury announced on 31 July 2015 that the US government intends to develop regulations implementing the OECD/G20 base erosion and profit shifting (BEPS) action plan guidance on country-by-country (CbC) reporting by multinational

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Ukraine: State Fiscal Service published letter regarding tax control over transfer pricing

05 August, 2015

The State Fiscal Service (SFS) published Letter No. 24525/7/99-99-22-01-02-17 issued on 7 July 2015 addressing the penalties levied for failure to submit transfer pricing (TP) documentation or to include relevant information about controlled

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China: Announcement on Cost Sharing Agreements

05 August, 2015

Recently, China’s State Administration of Taxation has promulgated the Announcement on Standardizing the Administration of Cost Sharing Agreements (the "Announcement 45") for implementation as of July 16, 2015. This announcement 45 is issued to

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Transfer Pricing Brief: July 2015

03 August, 2015

India: Comparable data range: The Punjab and Haryana High Court confirmed a judgment in the case of CIT-I v. DSM Anti Infectives India Ltd. ITA No. 116 of 2014 of a tax appellate tribunal that certain companies could be appropriate

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Ukraine: Cabinet of Ministers adopts new advance pricing agreement procedures

01 August, 2015

Ukraine’s Cabinet of Ministers published Resolution No. 504 on 25 July 2015 regarding conclusion of advance pricing agreements (“APA”) in respect of controlled transactions for transfer pricing purposes. The new Resolution replaces the former

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India: Delhi Tribunal allows use of multiple-year data for purposes of determining arm’s length price

27 July, 2015

In the case of DCIT v. Innodata Isogen India Pvt. Ltd. , the Delhi Bench of the Income Tax Appellate Tribunal upheld a decision of the Commissioner of Income Tax (Appeals) to allow the taxpayer to use multiple-year data in determining the arm’s

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India: Transfer Pricing Adjustment For Interest-Free Loan to Related Party

27 July, 2015

Recently, the Income-tax Appellate Tribunal upheld an interest adjustment on a loan that the taxpayer advanced to a related entity In the case of: Soma Textile & Industries Ltd. v. ACIT. Here the tribunal found that the comparable uncontrolled

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Sri Lanka: Commissioner General of Inland Revenue publishes gazette on Transfer Pricing Regulations

26 July, 2015

The Commissioner General of Inland Revenue has published gazette no. 1907/26 dated 25 March 2015 on Transfer Pricing Regulations. It was made available on the Government Printer’s website on 27 May 2015. The gazette requires the taxpayer to

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Spain: BEPS country by country reporting provisions enacted

26 July, 2015

The Spanish Ministry of Finance published Royal Decree 634/2015 of 10 July 2015 in the Official Gazette on 11 July, 2015. The Decree contains corporate income tax regulations including (BEPS) country by country reporting requirements in line

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Greece: tax authorities issue circular to clarify transfer pricing regulations

26 July, 2015

The Greek tax authorities issued circular no. POL 1142/02.07.2015 dated July 2, 2015 to explain transfer pricing (TP) documentation issues raised in light of the new Income Tax Law no. L. 4172/2013 and Tax Procedures Code no. L. 4174/2013. The

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New guidance on Advance Pricing Agreements issued by Australian Taxation Office

26 July, 2015

The Australian Taxation Office released its revised policies and procedures for the Advance Pricing Agreements program on 23 July 2015. The updated guidance has been provided in the form of Practice Statement Law Administration PSLA 2015/4, which

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Germany plans to adopt BEPS guidance on transfer pricing documentation and CbC reporting requirement

23 July, 2015

The German government has announced plans to incorporate guidance on transfer pricing documentation and country-by-country (CbC) reporting) in line with the OECD’s Base Erosion and Profit Shifting (BEPS) project into local legislation. The

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Slovenia:  Procedures for Advance Pricing Agreements

20 July, 2015

The Ministry of Finance has published proposed changes to the Slovenian Tax Procedure Act. The envisaged amendments bring a broad variety of important amendments regarding automatic exchange of information and elimination of administrative

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