Global Tax Alert. Italy launches pilot project for tax Co-operative Compliance Program, applications required by 31 July 2013.
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- Charity Wiggins
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1 1 July 2013 Italy launches pilot project for tax Co-operative Compliance Program, applications required by 31 July 2013 Background On 25 June 2013, the Italian Revenue Agency announced the launch of a pilot project for a co-operative compliance program aimed at implementing a transparent and truthful relationship framework between tax authorities and Large Business Taxpayers (LBT). LBT are generally identified as taxpayers with a turnover or operating revenues not less than 100 million. However the pilot project will be open to selected LBT meeting additional requirements as outlined below. The Co-operative Compliance Program (CCP) is deemed to make the existing Monitoring Activity Program for LBT 1 compliant with the guidelines issued by the OECD in the Co-operative Compliance: a Framework from Enhanced Relationships to Co-operative Compliance report (Co-operative Compliance report). LBT interested in taking part in the pilot project need to file an application by 31 July 2013 using the tools indentified in the official website of the Italian Revenue Agency. 2 The OECD Report The Italian CCP follows the Co-operative Compliance report issued by the OECD on the basis of the international business community experiences on similar programs. The OECD report highlights the importance of transparency and disclosure from both tax administrations and large business taxpayers in order to reduce uncertainties over companies tax positions. The OECD report suggests that the relationship between tax administrations and large businesses be based on the following five key pillars:
2 Commercial awareness ensure a good understanding by tax administrations of the commercial drivers behind the transactions and activities undertaken by large corporate taxpayers to avoid uncertainties and costly disputes Impartiality ensure a high level consistency and objectivity approach by tax administrations in resolving tax issues Proportionality ensure an efficient allocation of resources to define priorities within the taxpayer selection process through an appropriate level of risks management Openness and responsiveness ensure real time communication (discussions, binding rulings, etc.) to create early certainty on tax issues Disclosure and transparency by taxpayers ensure that taxpayers comply with the spirit of law and regulations in interpreting rules The Italian CCP Based on the 25 June announcement by the Italian Revenue, the CCP should imply a commitment by LBT to a transparency behavior in exchange for openness and responsiveness by the tax authorities in solving significant issues in a timely and effective manner. As reported by the Italian Revenue Agency, the underlying purpose of this new model of relationships is to implement an ex-ante rather than the traditional ex-post approach to tax controls, with related benefits in terms of taxpayers compliance and of providing certainty and predictability in advance. The CCP should enable taxpayers to reduce the compliance burden, obtain several advantages and benefit as much as possible from advance legal certainty on specific transactions. Admission to the CCP pilot project The LBT admitted to the pilot project will engage with the Italian Revenue Agency in ad-hoc meetings in order to jointly discuss and examine several issues, such as taxpayers internal tax control framework, role and responsibility of the Revenue Agency, and obligations and/or incentives for taxpayers, among others. The pilot project will be opened only to LBT filing the proper application. Qualifying LBT shall meet the following requirements: total turnover or operating revenues in the fiscal year 2011 not less than 100 million; and have implemented an organizational model pursuant to section 6 of Legislative Decree no. 231/2001 (i.e., corporate governance preventing crimes of representatives) or having adopted a Tax Control Framework to manage tax risks. Since the number of participants in the pilot project is limited, the Revenue Agency defined other optional requirements that will be taken into account within the selection process of LBT such as: being part of a multinational group of companies or carrying out a business activity in Italy or abroad through permanent establishments; participating in similar cooperative compliance programs in other foreign jurisdictions or having subscribed a code of conduct with other tax administrations; and having already entered into initiatives falling within the concept of co-operative compliance in Italy, such as the International Tax Ruling procedure or the the transfer pricing documentation requirements regime. 2
3 Filing of the applications The Italian Revenue Agency website (see endnote 2) clarifies that LBT can file their application to the following address: agenziaentrate.it no later than 31 July The website instructions state that the application should include: a description of the aforementioned necessary/ preferential requirement(s); a brief explanation of the motivations for being admitted to the pilot project; a brief description of the Tax Control Framework adopted, if any; and the contact information of the relevant person to be contacted by the Revenue Agency. Endnotes 1. Law Decree n. 185/2008, as converted by Law n. 2/ borativo+-+grandi+contribuenti/pilot+project+-+english+version. 3
4 For additional information with respect to this Alert, please contact the following: Ernst & Young, Studio Legale Tributario, Milano Domenico Borzumato Marco Magenta Ernst & Young, Studio Legale Tributario, Bologna Mario Ferrol Ernst & Young, LLP, Italian Tax Desk, New York Emiliano Zanotti Andrea De Nigris Aldo Bono
5 EY Assurance Tax Transactions Advisory About EY EY is a global leader in assurance, tax, transaction and advisory services. The insights and quality services we deliver help build trust and confidence in the capital markets and in economies the world over. We develop outstanding leaders who team to deliver on our promises to all of our stakeholders. In so doing, we play a critical role in building a better working world for our people, for our clients and for our communities. EY refers to the global organization and/or one or more of the member firms of Ernst & Young Global Limited, each of which is a separate legal entity. Ernst & Young Global Limited, a UK company limited by guarantee, does not provide services to clients. For more information about our organization, please visit ey.com EYGM Limited. All Rights Reserved. SCORE No. CM3600 This material has been prepared for general informational purposes only and is not intended to be relied upon as accounting, tax, or other professional advice. Please refer to your advisors for specific advice. ey.com
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