APA & MAP COUNTRY GUIDE 2017 CROATIA

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APA & MAP COUNTRY GUIDE 2017 CROATIA Managing uncertainty in the new tax environment

CROATIA KEY FEATURES Competent authority APA provisions/ guidance Types of APAs available APA acceptance criteria Key deadlines APA term limits Filing fee Rollback availability Collateral issues Croatian Tax Administration ( TA ). Ordinance No. 42/2017, as published in the Official Gazette. Unilateral, bilateral, and multilateral APAs are available. No specific guidance. Pre-filing meeting requests must be filed no later than six months prior to the transaction(s) intended to be covered. There is a five year maximum term for an APA. The filing fee for unilateral APAs range from HRK 15,000 to HRK 150,000 (approx. USD 2,350 to 23,500) depending on the Taxpayer s turnover as stated in the most recent tax return. For bilateral APAs, an additional HKR 50,000 (approx. USD 7,850) is payable, and for multilateral APAs an additional HRK 100,000 (approx. USD 15,700) is payable. Rollback to prior years is not available. No specific guidance. 02 APA & MAP Country Guide 2017 Croatia

PRE-FILING REQUIREMENTS Overview Taxpayers are required to submit a Statement of intent to conclude an APA to the TA, including the following information: name of the Taxpayer, tax number and contact person for communication with the TA; name of the tax advisor that will be involved in the APA application process; a list of the related parties to be the subject of the APA, and the countries in which they are established or resident; type of APA sought; a brief outline of the organisational structure and business of the Taxpayer and related parties; a brief description of the transaction(s) that will be the subject of the APA and the value of the transaction(s); anticipated date that the transaction(s) will occur; and proposed TP method. The TA will schedule a pre-filing meeting if it determines an APA is appropriate in the circumstances of the Taxpayer. The prefiling meeting will involve a discussion of the following: purpose of the APA; selection process used to determine the TP method; likelihood that difficulties or doubts regarding the interpretation or application of the APA will significantly increase the risk of double taxation or non-payment; scope of the documentation and the analysis required for the conclusion of the APA; whether the APA could affect the tax treatment of transactions from previous periods if the facts and transaction(s) that is the subject of the APA is equivalent to those of previous tax periods; whether the Taxpayer or a related party is currently subject to a TP audit for previous years for the same or similar issues as those intended to be covered by the APA; details of the transaction(s), business forecasts and plans; www.dlapiper.com 03

critical assumptions; key deadlines of the APA application process; time required to conclude the APA; and proposed validity period of the APA. The TA may request further meetings before making a decision as to whether to invite the Taxpayer to submit a formal APA application. Anonymous prefiling availability Anonymous pre-filing is not available. APPLICATION REQUIREMENTS Content of APA application Taxpayers are required to submit a Statement of intent to conclude an APA to the TA, including the following information: name of the Taxpayer, tax number and contact person for communication with the TA; name of the tax advisor that will be involved in the APA application process; type of APA sought; general information on the transaction(s) with related parties (e.g., description, type, amount, values, and terms); data on all related parties to the APA (e.g., name, location of headquarters, and tax number); a description of the transaction(s) to be the subject of the APA and a description of the products, works or contracts which are the basis for the transaction(s) to be the subject of the APA; and the proposed period of validity of the APA. 04 APA & MAP Country Guide 2017 Croatia

If the Taxpayer requests a bilateral or multilateral APA, the following additional information must be included: information on the appropriate legal basis for the conclusion of the APA (a tax treaty or other international agreement); whether the Taxpayer or related parties have been or are currently subject to any audits, where the transactions involved are similar to those that are the subject of the APA application; an indication of whether the APA may affect related parties from non-participating countries; whether the Taxpayer or related parties have informed any relevant foreign CA(s) of the intention to conclude the APA; whether the Taxpayer or related parties have concluded an APA in another country that is related to the transactions covered by the APA; and translation of the formal APA application into English. The Taxpayer is required to submit the following supporting documentation in the formal APA application: a graphical representation of the legal and ownership structure of the group of related parties with which the Taxpayer is involved; a description of the business and business strategy of the group of related parties, together with a general description of the capital, assets, significant contracts, financial activities within the group, and a description of the group s transfer pricing policy; consolidated annual financial statements of the group of related parties for the previous three tax periods; annual financial statements of related parties participating in transactions covered by the APA, including tax returns for the previous three tax periods; www.dlapiper.com 05

a proposal and explanation of the selected TP method, as well as documentation supporting the justification of the selection, accompanied by detailed analysis, and information on comparable prices; financial and economic analysis to demonstrate the appropriateness of the selected TP method, including the development of the planned transaction(s) that are the subject of the APA; critical assumptions; a proposal to make any adjustments should there be a change to the critical assumptions on which the APA is based, where the actual outcome is different from the one provided for in the APA; and any other information that may have an impact on the selected TP method for determining the transfer pricing for the transaction(s) that will be the subject of the APA. The TA may invite the Taxpayer to provide additional information or explanations before making a decision to accept or reject the APA application. The Taxpayer will be notified in writing the outcome of the APA application. Language SME provisions Documentation must be submitted in Croatian. Bilateral and multilateral APA applications must be accompanied by English translations. No specific guidance. 06 APA & MAP Country Guide 2017 Croatia

OTHER PROCEDURAL CONSIDERATIONS General Monitoring & compliance The TA follows a standard pre-filing, application and monitoring process. There are no unique procedural aspects. The Taxpayer is required to submit annual reports on the implementation of the APA within the time limit for submitting an annual income tax return. The annual report must establish the following: Renewal procedure COUNTRY EXPERIENCE Statistics MAP PROCEDURE MAP provisions whether the Taxpayer has complied with the terms of the APA; whether the information stated in the APA application, annual reports and any accompanying documentation still apply; whether there have been any significant changes in the facts or circumstances affecting the anticipated result of the APA; whether the TP method is applied accurately and consistently in accordance with the terms of the APA; and whether the critical assumptions underlying the TP method still apply. The Taxpayer may apply for the renewal of an APA by submitting a request for the extension of the APA six months prior to the expiry of the initial APA term. Statistics on APAs have not been made publicly available. There are no specific provisions for the MAP procedure in domestic law. www.dlapiper.com 07

DOUBLE TAXATION TREATY NETWORK The following treaties include MAP provisions which are the basis for bilateral and multilateral APA negotiations: Albania Armenia Austria Azerbaijan (IV) Belarus Belgium Bosnia-Herzegovina Bulgaria Canada Chile China Czech Republic Denmark Estonia Finland (IX) France Georgia (IV) Germany Greece Hungary Iceland India (IV) Indonesia Iran Ireland Israel Italy Jordan Korea (Republic of) Kuwait Latvia Lithuania Luxembourg Macedonia Malaysia Malta Mauritius Moldova Montenegro Morocco (IV) Netherlands Norway (IX) Oman (IV) Poland Portugal Qatar Romania Russia San Marino (IV) Serbia 08 APA & MAP Country Guide 2017 Croatia

DOUBLE TAXATION TREATY NETWORK Slovakia Slovenia South Africa Spain Sri Lanka (IX) Sweden (IX) Switzerland Syria Turkey Turkmenistan (IV) Ukraine United Kingdom (IV) NOTES I II denotes treaties with MAP arbitration provisions. denotes treaties with the USSR that remain applicable until a separate tax treaty is concluded. III denotes treaties between the countries representative office in Taipei and the Taipei Economic and Cultural Office in the relevant country. IV denotes treaties that became effective within the last five years. V denotes treaties that are awaiting ratification. VI denotes MAP provisions identical to para 3, art 25 of the OECD Model Convention with respect to Taxes on Income and on Capital. VII arbitration is to be conducted under the statutes of the ECJ. VIII arbitration is to be conducted under the statutes of the ICJ. IX denotes treaties with the Socialist Federal Republic of Yugoslavia that remain applicable until a separate tax treaty is concluded. www.dlapiper.com 09

DLA PIPER CONTACTS Joel Cooper Co-Head International Transfer Pricing T +44 207 796 6929 M +44 773 829 5470 joel.cooper@dlapiper.com Randall Fox Co-Head International Transfer Pricing T +44 207 796 6928 M +44 773 8295 935 randall.fox@dlapiper.com 10 APA & MAP Country Guide 2017 Croatia

www.dlapiper.com DLA Piper is a global law firm operating through various separate and distinct legal entities Further details of these entities can be found at www.dlapiper.com. This publication is intended as a general overview and discussion of the subjects dealt with, and does not create a lawyer-client relationship. It is not intended to be, and should not be used as, a substitute for taking legal advice in any specific situation. DLA Piper will accept no responsibility for any actions taken or not taken on the basis of this publication. This may qualify as Lawyer Advertising requiring notice in some jurisdictions. Prior results do not guarantee a similar outcome. Copyright 2017 DLA Piper. All rights reserved. OCT17 3261060