Greece enacts changes in transfer pricing penalties and issues guidance on transfer pricing documentation and audit issues

Similar documents
French Tax Authorities release unofficial draft of Transfer Pricing Statement required to be filed with 2013 tax return

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

Australian Treasury releases revised Exposure Draft on Investment Manager exemption

Spain to require maintenance and submission of VAT books by electronic means

Greece amends tax penalties and interest on overdue payments

Global Tax Alert. Russia publishes revised draft law on de-offshorization. Executive summary. Detailed discussion

Russia s State Duma passes De-offshorization draft law

Albanian Ministry of Finance issues instruction for implementation of new transfer pricing legislation

Global Tax Alert. Spain proposes amendments to the Spanish ETVE and participation exemption regimes. Executive summary. Detailed discussion

Global Tax Alert. Executive summary. News from EU Tax Services

Bangladesh Transfer Pricing Regulations Finance Act, 2014

Canada amends taxation of investment income earned through a private corporation

UK HMRC issues update on diverted profits tax

Sri Lankan tax authorities implement transfer pricing regulations

Spain proposes to strengthen CFC rules

Tanzania issues transfer pricing guidelines

Australia releases draft law implementing countryby-country. increasing penalties for tax avoidance and transfer pricing.

Updated Decrees confirm Dutch APA/ATR procedures and practice

OECD releases 2013 Mutual Agreement Procedure statistics

Angola requires transfer pricing documentation for 2013 transactions

Italy issues new laws with important transfer pricing and VAT implications

Danish Government publishes report on dividend withholding tax

Global Tax Alert. Spain releases second draft bill amending Spanish tax system. Executive summary. Detailed discussion

Russian Government issues bill for implementation of Automatic Exchange of Financial Account Information

Guinea (Conakry) enacts new Petroleum Code

India s Delhi High Court rules on transfer pricing aspects relating to development and enhancement of marketing intangibles

Global Tax Alert. Spain releases draft bill of Spanish tax system reform. Executive summary. Detailed discussion

Czech Supreme Administrative Court rules on landmark case on debt pushdown and tax deductibility of acquisition debt costs

Puerto Rico extends automatic extension period for filing a 2017 tax return from three months to six months

Russia releases new version of bill amending De-offshorization Law

Japan releases guidance on transfer pricing documentation requirements

Spain enacts tax reform

Indonesia implements new transfer pricing documentation requirements in line with BEPS Action 13

India s Delhi Tribunal rules on application of Profit Split Method

Ireland s Country-by- Country reporting notification deadline is 31 December 2016

South African Revenue Service releases public notice on recordkeeping for transfer pricing transactions

Indian tax authorities impose minimum alternate tax on foreign portfolio investors

India releases Annual Report covering transfer pricing and international tax developments

Luxembourg s Parliament adopts Law on tax reform 2017

Singapore and Uruguay sign income tax treaty

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

Kuwait investment authority clarifies means and conditions for tax exemption of investments

Malaysia releases guidelines on tax incentives for a principal hub and other tax incentives

South Africa issues Budget 2015

OECD invites comments on discussion draft on treaty residence of pension funds

Global Tax Alert. India s AAR rules MFN clause cannot be used to benefit from make available clause. Detailed discussion

Austria publishes revised draft bill 2014 amending Tax Acts

Global Tax Alert. Australian multinational antiavoidance. reporting and increased penalties. Wide-ranging impact requires action by multinationals

Spain to require electronic records and submission for VAT books starting July 2017

Dutch Lower Court finds lack of arm s length return in captive reinsurance case

India s High Court of Delhi rules on transfer pricing aspects of intra-group service transactions

Australian Taxation Office issues guidance on Advance Pricing Agreements

Belgium introduces 100% participation exemption

International Tax Alert

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

Canada: Ontario Ministry of Finance seeks input on proposals to facilitate compliance with the Land Transfer Tax Act

OECD releases new guidance on transfer pricing for low value-adding intra-group services under BEPS Actions 8-10

India s Bombay High Court rules on applicability of transfer pricing provisions to issuance of shares to associated enterprises

Global Tax Alert. Canada Alberta increases corporate and personal income tax rates. Executive summary. Detailed discussion

Italy issues additional clarifications on Patent Box regime

EU Council publishes updated Draft Directive on implementation of country-by-country reporting

Pakistan implements formal transfer pricing documentation and Country-by- Country Reporting requirements

Canada Revenue Agency revises income tax Voluntary Disclosures Program

OECD releases discussion draft under BEPS Actions 8-10 on risk, recharacterization, and special measures

Canada and the US sign intergovernmental agreement to implement FATCA

Hungary amends transfer pricing documentation rules

Global Tax Alert. OECD issues updated guidance under BEPS Action 8 on transfer pricing aspects of intangibles. Executive summary

Russia implements tax law changes in 2016

Indian tax administration issues revised guidance on transfer pricing audit procedures

Turkey amends transfer pricing legislation

Singapore enacts transfer pricing documentation requirements and publishes updated transfer pricing guidelines

New Zealand introduces new property tax measures to address rising house prices

South African inbound services update

Russian Finance Ministry communications clarify imposition of withholding tax on international transportation services

Australia s proposed Diverted Profits Tax to affect many multinational businesses

Cyprus Tax Authority issues guidance on revised transfer pricing framework for intra-group financing activities

Kosovo enacts tax reform

Inland Revenue Authority of Singapore releases 2016 Transfer Pricing Guidelines

Japan and Chile sign income tax treaty

IRS rules consent fee paid on contingent payment debt instrument may result in a taxable exchange

India s CBEC extends LUT facility in respect of all zero-rated supplies

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

OECD releases final report on preventing the artificial avoidance of permanent establishment status under Action 7

Canada Revenue Agency releases proposed changes to GST/HST Voluntary Disclosure Program

UK issues draft Finance Bill 2014 clauses for consultation

Egyptian Parliament approves VAT law bill

India introduces secondary adjustment and interest limitation rules

UK CFC rules: European Commission publishes opening decision on State aid

Australia issues draft tax guidelines regarding transfer pricing documentation, penalties and reconstruction

Executive summary. Detailed discussion. EY Global Tax Alert Library. CL of 3 October 2016 SURI

Indonesia releases implementing regulations on Country-by- Country Reporting

China s Tax Authorities issue groundbreaking consultation draft to update transfer pricing rules in a Post-BEPS environment

Danish Tax Board rules that Scandinavian sales manager s work from home creates PE for German company

Irish Government announces Budget 2016 and publishes update on international tax strategy

Canada: Ontario unveils details of retirement pension plan

UK publishes draft clauses and other Documents under Finance Bill 2018

Chief Counsel Advice concludes that accrued but unpaid interest constitutes an obligation of a US person for purposes of Section 956

Executive summary. EY Global Tax Alert Library

New Zealand s incoming Government to prioritize International tax reforms

Global Tax Alert. Zambia issues 2015 Budget proposals. Executive summary. Detailed discussion

Transcription:

27 October 2015 Global Tax Alert News from Transfer Pricing EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International- Tax/Tax-alert-library#date Greece enacts changes in transfer pricing penalties and issues guidance on transfer pricing documentation and audit issues Executive summary On 17 October 2015, Greece enacted changes to the applicable transfer pricing (TP) documentation rules based on Law 4337/17.10.2015 and guidance issued by the Ministry of Finance regarding documentation and audit of transfer pricing issues. Such changes relate to: Penalties for failure to comply with filing obligations related to the Summary Information Table and the TP Documentation File Acceptable databases sanctioned for the performance of annual benchmarking studies Clarifications regarding the penalty of par 7 article 39 of Law 2238/1994 and applicable audit framework for fiscal years for which the deadline to file a corporate income tax return expired for the period from 1 January 2011 through 31 December 2011 Detailed discussion Amendments to penalties applicable to the filing of Summary Information Tables submission and TP Documentation Based on the new Law 4337/17.10.2015, the following changes are introduced to the penalties imposed in case of non-compliance with TP obligations (amendment of article 56 of Law 4174/2013):

Penalties for late filing of the Summary Information Table will be calculated at 0.1% on the value of the transactions subject to documentation requirements with a minimum penalty of 500 and a maximum penalty of 2,000. Penalties for an inaccurate filing of the Summary Information Table will be calculated at 0.1% on the value of the amounts to which the inaccuracy relates with a minimum penalty of 500 and a maximum penalty of 2,000, unless the inaccuracy of the amounts does not exceed 10% of the value of the total transactions subject to documentation (in such case no penalty applies). Penalties for non-filing of the Summary Information Table will be calculated at 0.1% on the value of the transactions subject to documentation requirements with a minimum penalty of 2,500 and a maximum penalty of 10,000. In the case of filing an amended Summary Information Table, a penalty applies only to the extent that the amounts are amended and such amendments exceed the amount of 200,000. In the case that the amended amounts exceed 200,000, then the penalty is calculated at 0.1% on the value of the transactions subject to documentation requirements with a minimum penalty of 500 and a maximum penalty of 2,000. In the case of failure to provide the tax authorities with TP Documentation within 30 days from the official request, a penalty of 5,000 applies, which is increased to 10,000 if TP Documentation is provided after 60 days, and to 20,000 if it is provided after 90 days or it is not provided at all. Based on the new Law, no penalty appears to explicitly apply anymore for the filing of an incomplete or insufficient TP Documentation File. However, in such cases, the penalties for not providing the TP Documentation File are likely to be applicable. Based on the new provisions, the penalties applicable to cases of non-compliance with TP filing obligations are reduced. However, it appears that based on the above provisions there may be cases when no penalty applies in the case of an inaccurate Summary Information Table whereas a penalty may apply in the case that the taxpayer proceeds to correct the inaccuracy through an amending Summary Information Table. Thus, prior to any corrective actions with respect to the Summary Information Table, the respective implications should be carefully examined as compared to the implications of inaccuracy of the Summary Information Table. The above changes appear to be applicable for penalties imposed from 12 October 2015 (date of submission of the draft law in the Greek Parliament) and relate to years started after 1 January 2014 (as the amended Law 4174/2013 provisions apply for fiscal years starting after 1 January 2014). However, it is important to note the ambiguity created by the fact that Law 4337/2015 also has another reference that may be interpreted such that the amendments are applicable from 1 December 2015 (the latter is likely a wrong reference to provisions, but this needs to be confirmed by the Ministry of Finance). Guidance on performance of benchmarking studies Circular 1142/2 October 2015 introduced changes to the previously issued guidance regarding the databases allowed to be used for the performance of benchmarking studies for years started or starting from 1 January 2014 forwards. Specifically, under the new guidance, a taxpayer may perform the benchmarking study for a fiscal year based on the available database versions during the period of the two months prior the end of such fiscal year and up to the expiration deadline for filing the Summary Information Table for such fiscal year (i.e., for entities with a year end as of 31 December 2015, practically this means that the taxpayers may use only database versions available during the period November 2015 to April 2016). In addition, it was clarified that assuming the conditions of operations remain unchanged, any benchmarking study may be used for the documentation of transactions in the next two years with the update of the financial data of the comparable entities. The specific clarification was required because of the unclear wording in the previous guidance for the use of updated benchmarking studies; 2 Global Tax Alert Transfer pricing

however, the new wording creates a new ambiguity, i.e., whether taxpayers should also ensure that upon the update of the benchmarking study apart from the availability of financial data, the comparable entities also should continue to meet the remaining screening criteria. TP audit framework for years with a corporate income tax return filing deadline from 1 January 2011 to 31 December 2011 The Ministry of Finance with the Document ΔΕΛΔ1133839ΕΞ2015 clarified that: For the fiscal years ended as of 31 August 2010 through 31 December 2011 in the case of TP adjustments, the penalty of article 39 (par 7) of Law 2238/1994 calculated as 20% on the value of the TP adjustment applies irrespective of whether the result is a taxable profit or tax loss. For fiscal years ended as of 31 August 2010 up through 31 July 2011 (years for which the income tax return filing deadline expired from 1 January 2011 to 31 December 2011) only the TP audit framework under provisions of par 17 of art 11 of Law 4110/2013 applies. In practice, with the said clarification, the Department of Cost Accounting and Market Research of the General Secretariat of Consumers will not have access to the TP Documentation Files for such years, whereas in the case that the TP Documentation Files are not submitted to the tax authorities following a subsequent request, a penalty of only 20% on the value of transactions applies. (Previously, there was the ambiguity whether in addition to the above penalty another penalty calculated at 10% of the value of the transactions was also applicable under Law 3728/2008.) Global Tax Alert Transfer pricing 3

For additional information with respect to this Alert, please contact the following: Ernst & Young Business Advisory Solutions SA, Athens Stefanos Mitsios +30 210 288 6363 stefanos.mitsios@gr.ey.com Spyros Kaminaris +30 210 288 6369 spyros.kaminaris@gr.ey.com Christos Kourouniotis +30 210 288 6378 christos.kourouniotis@gr.ey.com 4 Global Tax Alert Transfer pricing

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 may refer to 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. 2015 EYGM Limited. All Rights Reserved. EYG No. CM5899 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