UK: Budget proposals for 2017/18

10 March, 2017

The UK budget proposals announced on 8 March 2017 contained a number of tax changes including the following: Making tax digital The introduction of the new system of mandatory online tax returns for unincorporated businesses and landlords with

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Transfer Pricing Brief: February 2017

05 March, 2017

Ukraine: Controlled transaction: As per the amended Tax Code effective from 1 January 2017, a transaction is considered controlled if the annual income of the taxpayer within the reporting period exceeds UAH 150 million, and the sum of the

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Canada, Singapore Competent authority agreement on automatic exchange of information enters into force

02 March, 2017

The Competent Authority Agreement on Automatic Exchange of Information (2016) between Canada and Singapore entered into force on 27 February 2017. The agreement is expected to make sure Canada and Singapore will be able to begin from 2018, the

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Hong Kong: Transfer pricing proposals in 2017 budget

26 February, 2017

Hong Kong’s Financial Secretary on 22 February 2017 delivered the budget speech to the Legislative Council. In his budget speech, the Secretary mentioned the government’s plan for implementing a statutory transfer pricing regime in Hong

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Denmark: Publishes new guidelines on TP documentation

31 January, 2017

The Minister of Taxation issued order BEK no. 401 and 402 regarding transfer pricing documentation. The new documentation guidelines BEK no. 402 will replace the previous guidelines of BEK no. 42. The new guidelines include more specific

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Belgium adopted TP documentation

29 January, 2017

The transfer pricing documentation structure has been implemented in Belgium proposed by the Organisation for Economic Cooperation and Development (OECD). In accordance with the guidance of OECD under Action plan 13, Belgium initiated transfer

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Indonesia revises TP documentation requirements

15 January, 2017

The transfer pricing (TP) documentation rules has been revised by Indonesian tax authority to match global standards and curb practices of tax avoidance. Head of the international department at the finance ministry's tax office, Mr John Hutagaol

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Transfer Pricing Brief: December 2016

05 January, 2017

Norway: BEPS related compliance General rule for Country by Country (CbC) reporting: Norway has introduced Country-by-Country (CbC) reporting requirement for domestic entities with an annual consolidated group revenue of NOK 6.5 billion

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China: Clarifications on enterprise income tax published by SAT

21 December, 2016

On 9 December 2016, the State Administration of Taxation (SAT) issued an announcement clarifying two issues concerning enterprise income tax. The announcement applies to 2016 and subsequent years. The clarification contains payment of accident

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OECD: Inclusive Framework holds regional meeting in Europe

18 December, 2016

On 14 to 16 December 2016 the OECD’s Inclusive Framework held a regional meeting for Eastern Europe and Central Asia. The meeting was held to discuss the measures recommended by the OECD project on base erosion and profit shifting (BEPS) including

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Denmark: Issues CbC notification rules

13 December, 2016

The Danish tax authorities (SKAT) on 9 December 2016 announced that country-by-country (CbC) notifications must be submitted electronically and in a standardised format on Form 05.034. The form contains instructions both in English and Danish, and

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Finland: Parliament approved new transfer pricing documentation requirements

07 December, 2016

The Finnish Parliament on 23 November 2016 approved legislation regarding new transfer pricing documentation requirements on country-by-country (CbC) reporting, Master file and Local file measures, and penalty provisions. The documentation

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Hong Kong: Government launched a Consultation on measures to counter base erosion and profit shifting

30 November, 2016

The Hong Kong government has launched a public consultation to gauge views on the implementation of the OECD’s anti-base erosion and profit shifting (BEPS) initiatives. Among the proposal is a measure for the adoption of a formal transfer pricing

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IMF comments on economic reform in Egypt

13 November, 2016

The IMF issued a press release on 11 November 2016 commenting on Egypt’s reform program following the approval of an extended fund facility (EFF) for Egypt. Egypt has developed a program of structural reform supported by the EFF to boost growth

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UK: Details of double tax agreement with Colombia

07 November, 2016

Details are available of the double tax agreement between the UK and Colombia signed on 2 November 2016. The treaty generally conforms to the provisions of the OECD Model Tax Convention but the following should be noted: Permanent establishment A

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WTO: Expanded Information Technology Agreement to be fully implemented soon

04 November, 2016

According to a report published on the World Trade Organization (WTO) website on 1 November 2016 the majority of the participants in the expanded Information Technology Agreement (ITA) have implemented their tariff commitments under the agreement

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OECD Issues BEPS Documents on Monitoring Mutual Agreement Procedures under Action 14

27 October, 2016

Action 14 of the OECD project on base erosion and profit shifting (BEPS) was concerned with making dispute resolution procedures more effective. The final report on Action 14 approved by G20 finance ministers in October 2015 outlined the minimum

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Malaysia: Government plans to reduce corporate tax rate in Budget 2017

26 October, 2016

The Budget for 2017 proposed to reduce the corporate tax for the year of assessment 2017 and 2018. As per the proposal, the reduce tax rate will be between 1 and 4 percentage points for companies with significant increase in taxable income for year

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