Transfer Pricing Brief: July 2016

05 August, 2016

Austria: BEPS Related Compliance Master file information: Austria has introduced a requirement for a master file for constituent entities resident in Austria if their turnover in the previous two fiscal years exceeded €50 million in each year.

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Transfer Pricing Brief: June 2016

29 June, 2016

UK: Secondary adjustment: HMRC launched a consultation on May 26, 2016 to introduce and design secondary adjustment rule into the transfer pricing legislation of UK. See the story in Regfollower Germany: BEPS related compliance General rule for

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Transfer Pricing Brief: May 2016

05 June, 2016

Sweden: BEPS related compliance Master File information: The Swedish Tax Agency has submitted a proposal to the Swedish Government for new Transfer Pricing documentation like Master File. Under the current proposal, the Master File reporting

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Transfer Pricing Brief: April 2016

02 May, 2016

Portugal: General rule for CbC reporting requirement: Portugal has introduced Country-by-Country (CbC) reporting requirement for domestic entities with consolidated group revenue of €750 million or more for an accounting period. The CbC report

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Transfer Pricing Brief: March 2016

05 April, 2016

India: General rule for CbC reporting requirement: India has proposed in the 2016 Union Budget to introduce the country-by-country reporting rules pursuant to the OECD’s three-tier transfer pricing documentation approach. Multinational groups

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Transfer Pricing Brief: February 2016

03 March, 2016

Taiwan: Transfer Pricing Rules: As per the amendments to the Regulations governing assessment of profit-seeking enterprises, it is mandatory to apply the arm's length principle in the attribution of profits in a business restructuring provided

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Transfer Pricing Brief: January 2016

04 February, 2016

Norway: Base Erosion and Profit Shifting (BEPS) Related Compliance: General Rule for Country by Country (CbC) Reporting: The Ministry of Finance published a public consultation paper regarding country-by country reporting for tax purposes. As per

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Transfer Pricing Brief: December 2015

05 January, 2016

Mexico: Financial Services: Interest-accruing debts incurred in constructing, operating or maintaining production infrastructure linked to strategic areas in Mexico will not subject to the thin capitalization rules. Base Erosion and Profit

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Transfer Pricing Brief: November 2015

03 December, 2015

Greece: Documentation requirement:  Transfer pricing documentation requirements as set out by the Income Tax Code and the Procedural Code do not apply in respect of transactions made by real estate investment companies as per the clarification

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Transfer Pricing Brief: October 2015

05 November, 2015

UK: CbC reporting requirement: UK has published draft Regulations in relation to Country by Country (CbC) reporting, along the lines of the recommendations made in the OECD action plan on base erosion and profit shifting (BEPS). The Regulations

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Transfer Pricing Brief: September 2015

05 October, 2015

Ukraine: Comparable uncontrolled price method (“CUP”): As per the new law which came into force from August 11 2015,  taxpayers are allowed to use Comparable Uncontrolled Price (“CUP”) method only with reference to the prices on the

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Transfer Pricing Brief: August 2015

03 September, 2015

Australia: Documentation requirement: The Australian Treasury has released exposure draft law on 6 August 2015 to implement the new OECD standards on transfer pricing documentation like master file which will include an overview of the

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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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Transfer Pricing Brief: June 2015

02 July, 2015

India: Intangible property: The Delhi High Court ruling on marketing intangibles in the Sony Ericsson Mobile Communications India Pvt. Ltd. case provides clear guidance on how the issue of marketing intangibles should be viewed in cases where

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Transfer Pricing Brief: May 2015

07 June, 2015

India: Comparable Data Range: The company having high or extremely high profits and losses should not be the only consideration to exclude as a comparable company for purposes of determining the arm’s length price but other matters like

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Transfer Pricing Brief: April 2015

05 May, 2015

UK: BEPS Country-by-Country Reporting Requirement: Clause 122 of the Finance Bill gives the UK Treasury the power to make regulations for implementing the guidance of the OECD on country-by-country reporting. This would be part of the transfer

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Transfer Pricing Brief: March 2015

05 April, 2015

  Australia  Transfer pricing rule-The practice statement (PS LA 2015/3) issued on 26 February 2015 sets out a new internal approval process for application of the reconstruction provisions. See the Story in

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Transfer Pricing Brief: February 2015

02 March, 2015

France Penalty for Documentation FailureThe Finance Act, 2015 provides that for tax audits initiated from 1 January 2015 penalties for inadequate documentation are the higher of EUR 10,000 per entity per period under audit; 0.5% of the total

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