Indirect Tax Alert Reporting of other supplies Developments and clarifications

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Malaysia Indirect Tax 19 March 2018 Indirect Tax Alert Reporting of other supplies Developments and clarifications In an unexpected but welcome move, the Royal Malaysian Customs Department ( RMCD ) has once again revised the Guide on Accounting Software Enhancement Towards GST Compliance. The guide was originally revised in February to provide guidance on the new reporting requirement of the Total value of other supplies on field 15 of the GST return. Click here to find our February 2018 edition of GST chat which featured a write-up on this development.

In the updated guide, the RMCD has moved to provide more clarity to the subject which also includes a concession many GST registrants would be happy to discover. A summary of these changes is presented below. Grace period Needless to say, many GST registrants were caught off guard by the new reporting requirements of field 15 and many were left scrambling getting their systems and processes updated to meet the new requirements. Thankfully, a grace period of 6 months was introduced in the revised guide giving tax payers up to 30 June 2018 to prepare their systems to meet this new compliance requirement. This would mean that prior to 30 June 2018, it is not mandatory for GST registrants to declare their total value of other supplies in the GST return. Definition of Other supplies Previously Other supplies was defined to be the following transactions: Disregarded supplies Supplies where tax is not chargeable Supplies under the Approved Jeweller Scheme Supplies made outside Malaysia or not within the scope of GST In the revised guide, the RMCD has further clarified on transactions to be included and excluded as follows: Transactions to be included Transactions which involve payments that are received from another party or are treated as an income to the business. Examples of such transactions include: Disbursement; Refundable deposit; Contribution*, donation*, grant*, sponsorship* or compensation received from another party; and Transactions which are treated as neither a supply of goods nor services under Second Schedule of GST Act 2014 except payment or contribution made to the pension, provident or social security fund (e.g., EPF, SOCSO etc.). *Transactions that have benefit in return to the provider only.

Transactions to be excluded Transactions which involve payments that are made to another party or are treated as an expense to the business. Examples of such transactions includes: Goods given for free and cost to the donor is less than RM500; Payment/contribution made to EPF or SOCSO; Salary or allowance; and Accounting transactions, e.g., depreciation, classification of accounts, etc. What can you do now? With the introduction of the grace period, GST registrants should look into updating their system as soon as possible to accommodate this reporting requirement. This could mean going back to the transaction profiling and ensuring not only the transactions affected are correctly tax coded but also ensuring that the correct value is reported. It would be considered prudent to report all other transactions where any form of payment is received by the company, regardless of whether it is treated as income or not. If you need further information or assistance, please feel free to reach out to us using any of our contacts below. Malaysia Name Email address Telephone Tan Eng Yew Indirect Tax Country Leader Senthuran Elalingam GST Financial Services Industry (FSI) Leader etan@deloitte.com +603 7610 8870 selalingam@deloitte.com +603 7610 8879

Chandran TS Ramasamy Larry James Sta Maria Wong Poh Geng ctsramasamy@deloitte.com +603 7610 8873 lstamaria@deloitte.com +603 7610 8636 powong@deloitte.com +603 7610 8834 Best regards, Indirect Tax Team Deloitte Tax Services Sdn Bhd Level 16, Menara LGB 1, Jalan Wan Kadir Taman Tun Dr Ismail 60000 Kuala Lumpur Malaysia About Deloitte Deloitte refers to one or more of Deloitte Touche Tohmatsu Limited, a UK private company limited by guarantee ( DTTL ), its network of member firms, and their related entities. DTTL and each of its member firms are legally separate and independent entities. DTTL (also referred to as Deloitte Global ) does not provide services to clients. Please see www.deloitte.com/about to learn more about our global network of member firms. Deloitte provides audit & assurance, consulting, financial advisory, risk advisory, tax & legal and related services to public and private clients spanning multiple industries. Deloitte serves four out of five Fortune Global 500 companies through a globally connected network of member firms in more than 150 countries and territories bringing world-class capabilities, insights, and high-quality service to address clients most complex business challenges. To learn more about how Deloitte s approximately 264,000 professionals make an impact that matters, please connect with us on Facebook, LinkedIn, or Twitter. About Deloitte in Malaysia In Malaysia, services are provided by Deloitte Tax Services Sdn Bhd and its affiliates. This communication contains general information only, and none of Deloitte Touche Tohmatsu Limited, its member firms, or their related entities (collectively, the Deloitte Network ) is, by means of this communication, rendering professional advice or services. Before making any decision or taking any action that may affect your finances or your business, you should consult a qualified professional adviser. No entity in the Deloitte Network shall be responsible for any loss whatsoever sustained by any person who relies on this communication. 2018 Deloitte Tax Services Sdn Bhd To no longer receive emails about this topic please send a return email to the sender with the word Unsubscribe in the subject line.