Newsletter May 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:??
If you would like to know more about these topics, please feel free to?contact ?us.?
News from around the world:???
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Australia?
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Austria?
The Federal Ministry of Justice of Austria has released a draft law implementing the EU Directive on public country-by-country Reporting (CbCR), named the Federal Act on the Publication of Country-by-Country Income Tax Information Reports. The draft law closely follows the provisions of the EU Directive on public CbCR. This directive requires EU-based and non-EU-based multinational enterprises (MNEs) operating in the EU with total consolidated revenue exceeding EUR 750 million in each of the last two consecutive financial years to publicly disclose certain income tax information. The bill applies to financial years starting after 21 June 2024, and includes fines of up to EUR 100,000 for non-compliance. Approval from both parliament and the Federal Council is pending.?
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Bahrain?
The Ministry of Industry and Commerce (MoIC) has set the deadline for Country-by-Country (CbC) reporting for the fiscal year 2023. Entities covered by Ministerial Order No. 28 of 2021 must comply with the following guidelines:?
The deadline for both filings is 31 December 2024.?
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Cyprus?
On 3 April 2024, the Cyprus Tax Authority published additional "Frequently Asked Questions" (FAQs) to clarify certain provisions of the Income Tax Law in connection with the adoption of the transfer pricing legislation by Cyprus with effect from 1 January 2022.?
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Estonia?
Published on 18 April 2024, Estonian lawmakers have approved new legislation implementing EU directives for public country-by-country reporting and parts of the EU's Minimum Tax Directive.??
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European Union?
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Hungary?
Hungarian tax authorities plan to focus on transfer pricing in 2024, using newly collected data for audits. They will focus on related-party transactions in the automotive and pharmaceutical industries, check compliance with APAs, and investigate intra-group manufacturing and financial transactions involving related companies.?
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Italy?
On 5 April 2024, the Italian Supreme Court ruled on the following case:???
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Liechtenstein?
The Liechtenstein government has adopted a consultation report proposing amendments to several laws aimed at enhancing international tax cooperation. These laws include the Act on the International Automatic Exchange of Information in Tax Matters (AEOI Act), the FATCA Act related to the agreement with the United States, the agreement on tax cooperation with Austria, and the Act on the International Automatic Exchange of Country-by-Country Reports (CbCR Act). These modifications aim to align with the recommendations from the Global Forum on Transparency and Exchange of Information for Tax Purposes, aiming to secure a top rating in the Financial Center Strategy 2025?
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The Netherlands?
On 5 April 2024, the Minister of Economic Affairs published a letter addressing issues surrounding the Tax Plan 2024. During the deliberations on the Tax Plan, the government agreed to introduce alternative measures in response to the concerns and objections, particularly regarding the 30% ruling, the abolition of dividend tax exemptions, increases in tax rates in box 2 and 3, and banking levies.?
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Luxembourg?
On 18 April 2024, the Luxembourg government published an amended list of jurisdictions for report exchange under the Common Reporting Standard (CRS). Liberia, Moldova, Montenegro, and Uganda were?removed from the list, while Georgia and Ukraine were added.?
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OECD?
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Poland??
The EU Directive on public country-by-country reporting (EU Directive 2021/2101) was adopted on 16 April 2024. This legislation will take effect 14 days after publication and will apply to tax reporting for financial years beginning after 21 June 2024.?
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Slovakia?
The Ministry of Finance has issued new guidelines outlining the transfer pricing documentation requirements for 2023. These guidelines categorise the documentation into three types:??
Transfer pricing documentation must be submitted within 15 days upon request from the tax authority or the financial directorate. Requests for the 2023 documentation can be made from 3 April 2024, the day after the tax return filing deadline.?
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United Kingdom ?
On 11 April 2024, a ruling was published regarding a 2009 acquisition financed with $4 billion in loan notes. The involved entity claimed tax deductions for interest payments on these loans. The UK tax authorities (HMRC) challenged these deductions, arguing under the transfer pricing rules that the loans did not meet the arm's length principle and were primarily intended to secure tax advantages. The legal dispute escalated past several courts, with the Court of Appeal ruling against the deductions, specifically under the unallowable purpose rule, while not supporting the arm's length principal challenge.?
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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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