Newsletter March 2024
Quantera Global
Leading independent transfer pricing consulting company. Trusted by 400+ international clients. Formed in Freedom.
In this edition of the newsletter, you will find the most important national and global developments in tax law that are (closely) related to the transfer pricing world.? ?
Please feel free to contact us if you have any questions.?
Quantera Global news, developments, and blogs?
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Quantera Global specialties?
In the past month, we have completed several challenging and interesting projects worth mentioning, including:??
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If you would like to know more about these topics, please feel free to?contact ?us.?
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News News from around the world:?from around the world:???
Australia?
The Australian government released revised draft legislation on 12 February 2024 to implement public country-by-country (CbC) reporting, applicable to reporting periods starting on or after 1 July 2024.?
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Belgium?
Belgium has implemented the EU public Country by Country reporting directive into national law. The provisions of the Belgian bill are largely aligned with the EU Directive. The rules apply to financial years starting on or after 22 June 2024.?
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Cyprus?
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Ethiopia?
The Ethiopian Ministry of Finance has issued Directive No. 981/2024, introducing new transfer pricing rules effective from January 2024. This directive replaces Directive No. 43/2015 and is largely in line with OECD Transfer Pricing Guidelines.?
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European Commission?
On 25 January 2024, the European Commission sent formal notices to nine Member States for failing to report whether and to what extent the EU minimum tax directive has been transposed into their national law. These states are Estonia, Greece, Spain, Cyprus, Latvia, Lithuania, Malta, Poland, and Portugal.?
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Greece?
On 23 February 2024, the Greek Ministry of Finance initiated a public consultation regarding a proposed bill to adopt the OECD’s pillar two model rules in accordance with the EU Minimum Tax Directive. The draft also includes safe harbours for transitional measures and outlines administrative procedures, including filing deadlines for relevant tax returns and payment schedules.?
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Indonesia?
Effective from tax year 2024 onwards, Indonesian taxpayers must comply with the new guidelines outlined in Regulation PMK 172 of 2023. This regulation covers:?
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Kenya?
On 9 February 2024, the Tax Appeal Tribunal of Kenya addressed a case regarding the Transfer Pricing method of a Kenyan subsidiary. The tax authorities disagreed with the company's use of the TNMM method and applied the CUP method instead. The Kenyan subsidiary appealed, claiming that the authorities had misrepresented, failed to consider factors determining comparability of transactions and misapplied transfer pricing guidelines. Despite the appeal, the Tribunal ruled in favour of the tax authorities, dismissing the Kenyan subsidiary’s arguments.?
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Malta?
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The Netherlands?
On 9 February 2024, the Advocate General noted that even if a loan and its interest deductions fall outside the scope of article 10a CIT (limitations on interest deduction), interest deductions may still be disallowed for tax purposes under the doctrine of fraus legis, which has a broader scope than article 10a CIT.??
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New Zealand?
New Zealand will not implement the OECD's simplified and streamlined approach to in-country baseline marketing and distribution activities (Pillar 1 amount B). New Zealand already has an existing simplified approach for small foreign wholesale businesses.?
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Nigeria?
The Federal Inland Revenue Service (FIRS) announced the migration of the electronic platform for filing transfer pricing returns and country-by-country (CBC) reporting notifications from E-TPPLAT to TaxPro-Max (TPM). Taxpayers have until 30 June 2024 to complete all pending filing obligations on TPM.??
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OECD?
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Portugal?
On 15 February, the Tribunal Central Administrativo Sul published an appeal concerning a transfer pricing adjustment. The Portuguese tax authorities made a correction on the taxable result due to an adjustment related to an intercompany loan with a subsidiary. The taxpayer was unable to disprove the assumptions underlying the correction, as the comparable market price method used by the tax authorities adequately considered factors relevant to long-term loans and assessed comparable transactions between independent entities on the open market.?
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Singapore?
Singapore's 2024 budget contains plans to implement Pillar Two global minimum tax rules starting from 1 January 2025. Additionally, the budget proposes various tax measures.?
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South Africa?
On 21 February, the South African government published draft legislation to enact the OECD's Pillar Two Model Rules, aiming to implement a global minimum tax.??
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This information is intended only as a general update for interested persons and should not be used as a basis for decision-making. ?
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