OECD: Updated Guidance on the Implementation of Country-by-Country Reporting

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Published on May 12, 2017

 

According to BEPS Action 13 (”Action 13: 2015 Final Report - Transfer Pricing Documentation and Country-by-Country Reporting”) countries should adopt a standardized approach to transfer pricing documentation that includes the three-tiered structure that encompasses a master file, a local file and a Country-by-Country Report (”CbC Reporting”). In order to continue the consistent and swift implementation of the CbC Reporting, the OECD will endeavor to provide common public guidance.
 
The updated ”Guidance on the Implementation of Country-by-Country Reporting” addresses several issues where questions of interpretation have arisen. The guidance of April 2017 covers the following issues:
  • Issues relating to the definition of items reported in the template for the CbC report, such as:
    • revenue
    • related party
  • Application of CbC reporting to investment funds
  • Application of CbC reporting to partnerships
  • Accounting principles/standards for determining the existence of and membership of a group
  • Treatment of major shareholdings
  • Impact of currency fluctuations on the agreed EUR 750 million filing threshold
  • Definition of total consolidated group revenue
  • Transitional filing options for MNEs (”parent surrogate filing”)
  • CbC Reporting notification requirements for MNE Groups during transitional phase

 

For further information see: 
http://www.oecd.org/tax/beps/oecd-releases-further-guidance-for-tax-administrations-and-mne-groups-on-country-by-country-reporting-beps-action-13.htm
 
OECD releases further guidance for tax administrations and MNE Groups on Country-by-Country reporting (BEPS Action 13)
    

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