DECEMBER Update on Transfer Pricing: Compliance Requirements and the Changing Landscape

Similar documents
Transfer Pricing Country Summary Pakistan

Transfer Pricing Country Summary Ghana

Future of TP. Documentation & Certification. 7th October Presented by- CA Dilip Gupta

1. New decree on transfer-pricing documentation requirements

Transfer Pricing Country Summary Russia

Transfer Pricing Principles By Wilfred Alambo KPMG Advisory Services Limited

HONG KONG. 1. Introduction. Contact Information Henry Fung Candice Ng

Transfer Pricing Country Summary Tanzania

Denmark. WTS Global Country TP Guide Last Update: December Legal Basis. 2. Master File (MF) Yes

Arm s Length Principle. Kavita Sethia Gambhir

Transfer Pricing Country Summary The Netherlands

Tax Seminar: Transfer Pricing A Customs Perspective. Peter Caxton Kinuthia Director, Tax Services KPMG Kenya. 30 April 2015

Transfer Pricing Country Summary Russia

Transfer Pricing Country Summary Israel

Transfer Pricing Country Summary Nigeria

NEWSLETTER 22 OCTOBER 2018

Annex I to Chapter V. Transfer pricing documentation Master file

Digest TRANSFER PRICING REGULATIONS IN NIGERIA

Recent Transfer Pricing Developments

TRANSFER PRICING DATED CA. Ashwani Rastogi, New Delhi

OECD TP Guidelines July 2017 Brief synopsis

Russian Federation. Transfer Pricing Country Profile. Updated October 2017 SUMMARY. The Arm s Length Principle

Transfer Pricing Country Summary Austria

Transfer Pricing Country Summary Sweden

IBFD Course Programme Principles of Transfer Pricing

Principles of Transfer Pricing

Transfer Pricing Country Summary Turkey

The transfer pricing rules apply for transactions between resident persons, as well as for transactions between resident persons and non-residents.

Transfer Pricing Country Summary Belgium

Transfer Pricing Backdrop in. Glimpse on International Transactions CA Utpal Doshi and CA Harshil Shah 9 October, 2016

What is Transfer Pricing and Why is it Important?

India revises Country Chapter comments in UN Practical Manual on Transfer Pricing Issues for Developing Countries

Egypt updates Transfer Pricing Guidelines

Transfer Pricing Country Summary Australia

Issues Involving Comparability and Profit Based Methods in Transfer Pricing

Russian Federation. Transfer Pricing Country Profile. Updated October The Arm s Length Principle

Global Tax Alert. Singapore Tax Authority releases updated transfer pricing guidelines. Executive summary. News from Transfer Pricing

Transfer Pricing Country Summary China

Key Highlights of the Newly Issued Transfer Pricing Regulations 2018.

Belgium. WTS Global Country TP Guide Last Update: December Legal Basis. 2. Master File (MF) Yes

IBFD Course Programme Principles of Transfer Pricing

Chinese Transfer Pricing Regulations and Their Implications

Domestic Transfer Pricing

Update on Transfer Pricing Documentation Local File, Master File & CbCR

THE OECD 2017 TRANSFER PRICING GUIDELINES AN INDIAN PERSPECTIVE

Transfer Pricing Country Summary Philippines

Hong Kong introduces tax and transfer pricing legislation to counter Base Erosion and Profit Shifting

MALAYSIA TRANSFER PRICING LANDSCAPE

Tanzania issues transfer pricing guidelines

Transfer Pricing Documentation

JGARG. Economic Advisors. Tri Nagar Keshav Puram Study Circle Of North India Regional Council. By: CA. Gaurav Garg

Global Tax Alert. OECD releases report under BEPS Action 13 on Transfer Pricing Documentation and Country-by-Country Reporting.

Bangladesh Transfer Pricing Regulations Finance Act, 2014

THE INCOME TAX (TRANSFER PRICING) REGULATIONS NO 1, 2012

Japan releases guidance on transfer pricing documentation requirements

China s SAT issues new rules on reporting of related-party transactions and contemporaneous documentation

An overview of Transfer Pricing

IBFD Course Programme Principles of Transfer Pricing

Transfer Pricing Documentation Requirements

Mini-Panel: International Reporting Heavy Compliance Burden Ahead. Amit Chadha KPMG JP Borman PwC Wally Horak Bowman Gilfillan Franz Tomasek SARS

U.S. Transfer Pricing Overview. Presented by Will James BKD, LLP

Fundamental principles of Transfer Pricing and Transfer Pricing audit under the Income-tax Act, 1961

OECD Transfer Pricing Guidelines for Multinational Enterprises and Tax Administrations

Indian Tax Administration releases final rules on Country-by-Country reporting and Master File implementation

Global Transfer Pricing Review kpmg.com/gtps

An overview of Transfer Pricing

China Transfer Pricing Overview Presented by Catherine Tse Mazars Hong Kong

Transfer Pricing Country Summary Madagascar

OECD/G20 Base Erosion and Profit Shifting Project

Transfer Pricing Country Summary Turkey

Transfer Pricing Regulation

Spain. Transfer Pricing Country Profile. Updated October The Arm s Length Principle

New Zealand. Transfer Pricing Country Profile. Updated October The Arm s Length Principle

Transfer Pricing Country Profile (to be posted on the OECD Internet site

BOOK ONE GENERAL PRINCIPLES OF TRANSFER PRICING

Luxembourg transfer pricing legislation at a glance

HONG KONG BEPS AND NEW TRANSFER PRICING LAW

DOMESTIC TRANSFER PRICING CONFERENCE


Transfer Pricing Country Summary Romania

Issues in Transfer Pricing

United States. Transfer Pricing Country Profile. Updated October The Arm s Length Principle

ROMANIA. minimum of 25% of the number/value of shares or voting rights in the two entities.

Internal or external comparables can be used to determine the gross profit margin.

TRANSFER PRICING UNDER INCOME TAX ACT, N.Madhan B.Com., CA & Grad CWA. 22 August 2015

Institute of Certified Public Accountants Transfer Pricing Workshop

Indian Tax Administration releases draft rules on Country-by-Country reporting and Master File implementation for public comment

Introduction to Transfer Pricing Regulations

Transfer Pricing Country Summary Colombia

Transfer Pricing Documentation

Transfer Pricing Report

Transfer Pricing: The New Frontier Transfer Pricing Documentation in a Post-BEPS World: Evolution or Revolution? November 8, 2018

Transfer Pricing Country Summary Venezuela

Resolving transfer pricing controversies, handling audits and queries, and best practices in TP documentation: A practical guide

TANZANIA REVENUE AUTHORITY

Overview of the transfer pricing landscape in Singapore

On October , the OECD released its final report on

Preface The Revenue Department of Thailand June 2002

OECD Publishes Guidance on Transfer Pricing Documentation and Country-by-Country Reporting

Global Transfer Pricing Review kpmg.com/gtps

Transcription:

DECEMBER 2018 Update on Transfer Pricing: Compliance Requirements and the Changing Landscape

Outline Sections 1 Objectives 2 Overview of transfer pricing concepts 3 Legal basis for transfer pricing in Nigeria 4 Transfer pricing methods 5 Documentation requirements 6 Transfer pricing returns 7 Transfer pricing audit 8 Recent local and global developments in transfer pricing 9 Conclusion and case study

Objectives At the end of this course, participants should be able to: Refresh their knowledge of the Nigerian Transfer Pricing Regulations Outline recent changes and compliance requirements Gain insight into the global trend in TP documentation

Overview of Transfer Pricing (TP) Concepts Transfer price can be defined as the price at which services, tangible property and intangible property are traded between connected taxable persons. Transfer pricing relies on the application of the arm s length principle. TP and the Arm s Length Principle Arm s length principle means that the terms and conditions applied in transactions between related parties should be comparable to those applied in transactions between independent parties. Adjustments can be made by the FIRS where the related party transactions do not comply with the arm s length principle.

Overview of TP INTERCOMPANY TRANSACTIONS Entity A Country A REGULATIONS Tangibles Intangibles Services Loans Entity B Country B Appropriate Allocation of Deductions and Income OBJECTIVE OF TAX AUTHORITES Maximize tax payments in their jurisdictions OBJECTIVE OF THE TAXPAYER Optimize effective tax rate

Rationale for TP Regulations Total profit reported on tax return (millions) Scenario Parent - Country A Sub - Country B Consolidated 700 300 1,000 Tax rate 40% 10% Tax liability before change to transfer price 280 30 310 Global Effective Tax Rate (ETR) 31% Total profit as a result of transfer mispricing (400 million shifted to country B) Effect of Transfer Mispricing Parent - Country A Sub - Country B Consolidated 300 700 1,000 Tax rate 40% 10% Tax liability after change to transfer price 120 70 190 Global ETR 19%

Rationale for TP Regulations (2) Effect of Transfer Mispricing Parent - Country A Sub- Country B Consolidated Total profit reported on tax return (million) 300 700 1,000 Tax rate 40% 10% Tax liability before Country A s TP adjustment 120 70 190 Global ETR 19% Impact of a TP Adjustment Total profit after adjustment by Country A s tax authorities (addition of 400 million previously shifted; assumes no corresponding adjustment in B) Parent - Country A Sub- Country B Consolidated 700 700 1,400 Tax rate 40% 10% Tax liability after Country A s TP adjustment (penalties and interest not included) 280 70 350 Global ETR 35%

Legal Basis for TP S/N Framework Reference 1 General Anti- Avoidance Provisions Section 17 Personal Income Tax Act (PITA) Section 22 Companies Income Tax Act (CITA) Section 15 Petroleum Profits Tax Act (PPTA) 2 Income Tax (Transfer Pricing) Regulations 2018 (NTPR) Gazetted in March 2018 Revoked the NTPR of 2012 3 International Conventions Article 9 UN and OECD Model Tax Conventions on Income and Capital OECD TP Guidelines for MNEs and Tax Administrations UN Practice Manual on TP for developing countries

Application of Arm s Length Principle Comparability Factors It is important to consider the following five comparability factors: Characteristics of the property or service Functional analysis Contractual terms of the transaction Economic circumstances Business strategies

TP Methods Traditional Transaction Methods Transactional Profit Methods Other Methods Comparable Uncontrolled Price (CUP) Resale Price Method (RPM) Cost Plus Method (CPM) Transactional Net Margin Method (TNMM) Transactional Profit Split Method (TPSM) Other methods prescribed by FIRS from time to time

Documentation Requirements TP Policy Not expressly required under the NTPR Implied by the requirement that related parties comply with the arm s length principle in transactions between them Importance: Planning tool to help companies plan the prices to be applied in their related party transactions (RPT) Planning will help companies apply TP rules consistently and refer to them during price negotiations Provides a benchmark for testing whether RPTs have met the arm s length principle Helps reduce the costs and risks associated with TP audits

Documentation Requirements Master File The Master File provides a top-level view of the MNE group s TP practices in their global economic, legal, financial and tax context The Master file should include the following information: A detailed description of the ownership structure of the taxable person A profile of the multinational group of which the taxable person is a part of The global organisational structure of the MNE group Description of MNE s business and the industry in which it operates in Information on the MNE s Intangibles The MNE s Intercompany Financial Activities Financial and Tax Position

Documentation Requirements Local File The Local File contains the detailed description of transactions between the local entity and its associated enterprise(s) Includes analyses or records maintained by a taxpayer as proof that the arms length principle was followed in the pricing of transactions between related persons. Documentation must be maintained contemporaneously for each transaction

Documentation Requirements Local File Together a typical TP Documentation (Master File + Local File) should have the following key sections Executive Summary Controlled Transactions Overview of TP Regulations Group and Company Analysis Industry analysis Value Chain analysis Functional Analysis Selection of the Most Appropriate Transfer Pricing Methodology Selection of the Tested Party Application of the Transfer Pricing Method Conclusion Annexure/ Appendix

Documentation Requirements Supporting Documents The regulation requires tax payers to maintain the following supporting documents; Agreements and contracts entered into with connected persons Price publication; stock exchange and commodity market quotations Report of market research studies carried out by institutions of national repute Documents issued in connection with relevant transactions When required Letters and other correspondences Other documents considered relevant to the controlled transaction Published accounts and financial statements of connected persons

Documentation Requirements CBC Report The Country-by-Country (CbC) Report provides aggregated information by tax jurisdiction, showing the MNE s; Tax jurisdiction Revenues Profit (Loss) before Income Tax Income Tax Paid (on Cash Basis) Income Tax Accrued (Current Year) Stated Capital Accumulated Earnings Number of Employees

Documentation Requirements Pitfalls The following should be avoided when preparing the TP documentation: Also known Failure to consider the five factors as of comparability Compliance Report Failure to document search strategy Failure to undertake proper analysis on comparables Not covering all the affected transactions Incorrect application of the selected methods Differences between facts in transfer pricing document and actual business operations

Transfer Pricing Returns Declaration Form What it is? What it is? Form used Form used Updates to declaration When required A return containing details of the structure of a group in terms of ownership, management, control and nature of business. When to The file Declaration form should be submitted in the first year of filing 6 months a TP return. after the end of each accounting year OR 18 Taxpayers will file an updated declaration form/make months a notification after incorporation, upon the occurrence of any of the following; whichever is earlier Mergers Usually filed along with taxpayer s tax returns for Appointment or Retirement of a Director the relevant year of Acquisition assessment Any other change which influences whether a company will be considered to be connected to another person When to to file file 6 months after the end of each accounting year OR 18 months after incorporation, whichever is earlier Usually filed along with taxpayer s tax returns for the relevant year of assessment

Transfer Pricing Returns Disclosure Form What it is? A return containing details of a taxpayer s related party transactions and the methods used to determine the arm s length nature of the transactions When required Unlike the Declaration, taxpayers are required to prepare and file their disclosure forms annually When to file 6 Months after the end of each accounting year OR 18 months after the date of incorporation Usually filed along with the taxpayer s tax returns for the relevant year of assessment

Transfer Pricing Returns Challenges Improper disclosure/ What it is? characterization of transactions on the financial statement for TP Form used purpose When required When to file 6 months Delay after the in the end of each accounting finalization year of OR 18 months after Financial incorporation, whichever statements is earlier Usually filed along with taxpayer s tax returns for the relevant year of assessment Discrepancies in intracompany When to balances of connected file persons as captured in the FS Ledger balances versus Transaction figures

TP Audit - Overview of the TP Audit Process Review of TP Policy, TP Returns and TP Documentation High Risk Assessment Low Unsatisfactory Desk Query Satisfactory Process Ends Field Query Process Ends Assessment Resolution

TP Audit Risk Triggers Transfer of intangibles to related parties Intra-group service transaction Excessive intercompany loans Reliance on NOTAP approved rate Poor / Nonexistent documentation Poor results/loss making companies TP Audit Risk Triggers Low Effective tax rate Procurement arrangement High revenues, low profit, low tax and low employee count Related party transactions with greater marginal tax rate jurisdictions Non-alignment of business and TP documentations Transactions with tax friendly jurisdiction and free trade zones

Recent Developments - Income Tax (Transfer Pricing) Regulations 2018 Updated Safe Harbor Provisions Exemptions Also to known prepare as TP Documentation applicable if controlled Compliance transactions Report are priced in accordance with guidelines published by the FIRS Exemptions applicable if pricing is done in accordance with APA or statutory provisions Intra-group Services Transactions Intra-group services must pass performance, benefit, nonduplicative & non-shareholder test in addition to the appropriateness of allocation key TP Documentation Exemption No requirement to maintain contemporaneous documentation if value of controlled transaction is less than 300 million However, taxpayer has 90 days to provide the FIRS with the documentation if requested

Recent Developments - Income Tax (Transfer Pricing) Regulations 2018 Limited Deductions for Royalty Payments Also known as Compliance Report Allowable deductions for royalties paid on intangibles restricted to 5% of Earnings Before Interest, Taxes, Depreciation and Amortization (EBITDA) Quoted Prices as Applicable Pricing in Commodity Transactions Pricing applicable to commodity transactions between related parties now quoted prices as at transaction date. Adjustments to quoted prices only allowed where there is sufficient basis for the adjustment supported with adequate documents Advance Pricing Agreements (APA) More detailed guidance on APA Further guidance to be provided before commencement

Recent Developments - Income Tax (Transfer Pricing) Regulations 2018 S/No TP Offense Penalty 1 2 3 4 5 6 Failure to file TP declaration within the specified period Failure to file updated TP declaration/ notification about changes in directors Failure to file TP disclosures within the specified period Incorrect disclosure of information relating to the controlled transactions Failure to file TP documentation upon request Failure to furnish information or document within the specified period 10 million in the first instance with and 10,000 for every day the failure continues 25,000 for each day in which the failure continues the higher of: 10 million or 1% percent of the value of the controlled transaction not disclosed, and 10,000 for every day the failure continues the higher of: 10 million or 1% percent of the value of the controlled transaction incorrectly disclosed the higher of: 10 million or 1% percent of the value of all controlled transactions and 10,000 for every day the failure continues 1% of the value of each controlled transaction for which the information or documentation was required and 10,000 for every day the failure continues

Recent Developments - Income Tax (Country By Country Reporting) Regulations 2018 Who should file? Also known as Compliance Report Ultimate Parent Entities (UPE) of MNEs with Consolidated Group Revenue (CGR) of 160 billion and have Nigeria as their tax residence Constituent Entities (CE) of MNE groups with tax residence in Nigeria and there is: No obligation on the group s UPE to file in its tax residence The UPE s tax residence is not part of the Multilateral Competent Authority Agreement (MCAA). Systemic failure arising from the UPE s tax residence. Notification Also known as Compliance Report CEs are required to notify the FIRS of their status within the group, whether UPE, Surrogate Parent Entity (SPE) or neither.

Recent Developments - Income Tax (Country By Country Reporting) Regulations 2018 Time to file Time to file: Also known as CbyC Report Compliance to be filed Report no later than 12 months after the last day of an MNE s accounting year. Notification to be filed no later than the last day of an MNE s accounting year. Also known as Compliance Report Late Filing: 10 million in the first instance; 1 million for each month default continues. Penalty for noncompliance Incorrect or False CbyC Report: 10 million. Failure to file notification: 10 million in the first instance; 10,000 for each day default continues.

Time to file Penalty for noncompliance

Questions