Preços de Transferência

Slides:



Advertisements
Similar presentations
Transfer pricing in Russia and international trends 20 June 2013 Steven Cawdron, Ernst & Young Moscow.
Advertisements

1 The OECD Guidelines on Corporate Governance of State Owned Enterprises Louis Bouchez Corporate Affairs Division, OECD Delhi, India February 2006.
44 th SGATAR MEETING TOPIC 1 Addressing tax administration challenges posed by globalization and erosion of the tax base PREPARED BY MONGOLIA.
Business Ownership & Legal Structure. How Do Contractors Get Business? Three most common methods: A. Bidding on public work (competitive bidding) B. Bidding.
1 Transfer Pricing Introduction. Introduction. OECD Model Convention. OECD Model Convention. Why is TP a problem. Why is TP a problem. Main methods. Main.
2003 ACSDA SEMINAR CREATING A STRENGTHENED, INTEROPERABLE GLOBAL CENTRAL SECURITIES DEPOSITORIES NETWORK WHICH MITIGATES RISK AND IMPROVES GOVERNANCE Johannesburg,
Page 1 Business income and associated enterprise Prashant Khatore.
Transfer Pricing Defined A price negotiated between two related persons A price that is affected by that relationship A price that is different from the.
The G20 / OECD Action Plan to curb aggressive tax planning by multinationals African Trade Union Tax Justice Campaign: Providing alternatives for financing.
Contractual Savings and Financial Markets Alberto R. Musalem, Thierry Tressel, and Gregorio Impavido.
Debt bias and Base erosion and profit shifting (BEPS)
OECD Transfer Pricing Guidelines for Business Restructurings and Intangibles Martin Busenhart, Tax Partner 7th CIS Local Counsel Forum Yerevan, 8 June.
Nokian Tyres Transfer Pricing Case
McGraw-Hill/Irwin Copyright © 2007 by The McGraw-Hill Companies, Inc. All rights reserved. Chapter 11 International Transfer Pricing.
TRANSFER PRICING CASE STUDIES WORKSHOP SAN JOSE 31 MARCH - 4 APRIL a. Transfer Pricing - Introduction 1 OECD freely authorises the use of this material.
Prepared by Anna Ielisieieva, 4 th year student, International Economics, KROK University for Economics and Law.
The Finnish Supreme Administrative Court´s decision on transfer pricing re-characterization Petri Saukko Judge, Doctor of Laws IATJ Assembly, October.
Promoting Voluntary Tax Compliance as a Common Priority of Slovakia and the EU , Hotel Bôrik.
OECD BEPS project & OECD guidance on country by country documentation
© 2012 Central Asian Tax Research Center Vladimir Tyutyuryukov Central Asian Tax Research Center 3 February 2012 Transfer Pricing Regulations in Customs.
1 Kiev July The OECD Guidelines on Corporate Governance of State-Owned Enterprises Mathilde Mesnard Administrator, Corporate Affairs Division Directorate.
1 INTOSAI September 2006 The OECD Guidelines on Corporate Governance of State-Owned Enterprises Mathilde Mesnard Economist Corporate Affairs Division Directorate.
CORPORATE EXPATRIATION IN MEXICO RICARDO LEON-SANTACRUZ Washington D. C. APRIL 16, 2009.
Seite 1www.dhpg.de | Transfer Pricing Aspects Of Business Restructurings ETG-Meeting, Milan, 1. October 2009 Thomas Rohler, Partner.
Legal Framework Analysis for Municipal Financing Brad Johnson President Resource Mobilization Advisors
THAILAND’S EXPERIENCE ON TRANSFER PRICING UN Expert Group Meeting on TP Issues for Developing Countries 14 March 2012.
Institute for Austrian and International Tax Law MAP/Arbitration as a means of addressing transfer pricing disputes Dr. Raffaele Petruzzi,
Advanced Dispute Resolution Workshop TP Minds Africa 23 November 2015 Presented by: Dr. DN Erasmus & Prof A Venter.
The BEPS final reports Daniel Szmaragowski
1 The OECD Guidelines on Corporate Governance of State-Owned Enterprises Mathilde Mesnard Administrator, Corporate Affairs Division Directorate for Financial.
25 Sept 2013 N Vimala Devi Director of Taxes Singapore AGN World Conference 2013 Venice International Tax Committee session Singapore & Asia Pacific Transfer.
The Role of Tax Policy in a functioning Economic and Monetary Union Panel discussion Giampaolo Arachi Università del Salento European Economic and Social.
Corporation Tax Reform Alexander Klemm. Introduction Pressures on Corporation Tax Tax competition Developments at the ECJ Reform Proposals Conclusion.
Specific Measures (Safe Harbors, Fixed Margins, 6 th Method) JUDr. Tomas Balco, LL.M., FCCA.
Centre for Tax Policy and Administration Case Study on Profit Split / Intangibles Workshop on Transfer Pricing and Exchange of Information Guatemala 2.
Practical Implications of BEPS and Transfer Pricing Adjustments April 5, 2016 Eli Kaneti, Transfer Pricing Senior Manager, PwC Israel.
5-1 Topic 3 Revenue recognition and substance over form IAS 18 Revenue recognition Revenue is defined as the gross inflow of economic benefits (cash, receivables,
Transfer Pricing in Latin America & the Caribbean Private Sector Perspective ELINA CASTRO ALSTOM GROUP LATAM TAX DIRECTOR April 26, 2013.
Implementation of BEPS – the Malaysian Scenario
Centre for Tax Policy and Administration Workshop on Transfer Pricing and Exchange of Information Guatemala 2 – 5 May 2011 Wolfgang Büttner OECD Use of.
Taxation of Intra-group Services in Korea Yoon OH.
1 Emerging Transfer Pricing Topics April , Buenos Aires Roland von Frankenhorst.
Tax Avoidance, ATP, BEPS and ‘minimum international standards’ Adolfo Martín Jiménez Professor of Tax Law, Jean Monnet Chair University of Cádiz (Spain)
The European Commission´s Tax Transparency Package 18 March 2015.
International Tax Conference Confederation of Swedish Enterprises Stockholm, June 2009 Exit Taxes and Business Restructuring - The OECD Perspective.
Advanced Transfer Pricing Arrangements
International Aspects of China’s Tax Law
Latest Developments and Impact on the Financial Sector
Multinationals engage in many intra-group transactions between the headquarter and all subsidiaries. These transactions may involve exchange of goods,
Transfer pricing simplification and safe harbours
PRESENTATION OUTLINE BRIEF HISTORY OF S9D
Advantages of Local Borrowing
International Financial Reporting Standards Team Professional Times
Forming and Operating Partnerships
Subject 2 – The Future of Transfer Pricing Austrian Branch Report
Circularity between measures Questions regarding financial instruments
Auditing Multinational Enterprises
Forming and Operating Partnerships
TRANSFER PRICING EFFECTS ON TRADING AND FINANCING CYPRUS COMPANIES AND SOLUTIONS By Marios Efthymiou Managing Director.
Transfer Pricing Documentation in Indonesia Mof : pmk-213/pmk.03/2016
T N Manoharan President, ICAI
POLICY ASPECTS OF TRANSFER PRICING
The Transfer Pricing Changes Introduced by the BEPS Action Plan
Finland: Compiling merchanting according to BPM6
Mexico’s experience with the arm’s length principle
VEG No 071 REV 1 Possible VAT implications of Transfer Pricing Adjustments Presentation to the VAT Committee by the VAT Expert Group April 13, 2018.
Eliminating Transfer Pricing Arrangements in JV Companies Lessons for Enhancing Local Content November 2018.
Ilona Tangey Villaverde, BIAC Tax committee 1 March 2018
Action 13 – Three-tiered documentation
Presentation transcript:

Preços de Transferência BEPS Ações Relacionadas a Preços de Transferência Reporter: Daniel Rybnik (Argentina) Chair President: Luís Eduardo Schoueri (Brasil) São Paulo, 27 outubro (quinta-feira) de 2016

Aligning TP with Value Creation Existing international standards for tp rules can be misapplied: arm's length (art. 9 OECD + UN) shared interpretation in OECD TP Guidelines Contractual allocations of assets, functions and risks vulnerable to manipulation and outcomes not corresponding to value created

Actions 8 – 9 8: Misalocation of profits generated by valuable intangibles has contributed to BEPS 9: Contractual allocation of risks and resulting allocation of profits not corresponding with activities actually carried out Capital rich MNE group member with returns not corresponding to actual activities allocated only risk- free return or less if transaction not commercially rationale and non recognition applies

Action 10 Transactions not commercially rational for individual enterprise (re-characterization) Allocation of synergistic benefits to members contributing to them Neutralising use of certain types of payments between members of MNE group Profit Split Method

Action 10 (cont.) Risks: allocated to party actually exercising control and with financial capacity to assume risks Intangibles: legal ownership alone does not generate right to returns, companies performing functions, controlling risks and contributing assets entitled to return for value of their contributions Commodities Low value-adding intra-group services

Actions 13 - 14 Master file Local file CbCR MAP

OECD TP Guidelines Not member, not bound, no reference to TPG (Argentina, Bolivia, Brasil, Colombia) Member, actively using TPG (Mexico, Spain) Member, not following TPG Associated BEPS (Argentina & Brazil) Not changed regulations (all)

TP Rules ALS (Bolivia, Colombia, Mexico, US) Fixed Margins rebuttable (Brasil) ALS with departures (Argentina, Spain) Broader application than Associated Enterprises (Latin America)

Options actually available No concept (Brazil) Strengthening comparability (Colombia Not such level of analysis yet (Spain) Proposed Legislation (US) Domestic tested party (Argentina)

Commercially irrational No meaning (Argentina, Bolivia) No meaning but used in cases (Brasil, Spain) Equivalent to 'buen hombre de negocios' (Colombia) Economic substance doctrine (US)

Recharacterization Yes (Bolivia, Colombia, US) Triangulation (Brasil: Marcopolo, reversed in 4 subsequent cases) Financing (Spain: BICC reversed in Peugeot Citröen, MM) No (Argentina)

Low value added services No provision (Brasil) Prorrated expenses likely challenged (Bolivia) Prorrated expenses challenged (Argentina) Prorrated expenses non deductible (Colombia) No objection provided if meets TPG (Spain) Specific rules (US) WHT on gross (all)

Intercambio de información Administration not ready (Argentina, Bolivia, Colombia) Reduced impact on tp (Brazil) Spain: more efficient audit resources allocation Extensive and promoted, opposes automatic exchange of CbCR information, it would only do so bilaterally and only with countries that won’t expose US MNE information (US)

CbCR Only local (Bolivia) Not implemented (Argentina, Colombia, Brasil) In place Master File, Loca File y CbCR (Spain) In place CbCR (US)

BEPS Bias to shift profits to location of highly skilled people not where market is created (Brazil) Cherry picking (Argentina) Improved documentation (Colombia) Moving people rather than documents, more compliance costs and uncertainty (Spain) Future not clear, especially master file & confidentiality of CbCR, no changes in substantive law expected (US)

¡Muito Obrigado! Daniel Rybnik, Partner, EnterPricing, Buenos Aires Email: drybnik@enterpricing.com Mobile: +54 9 11 4053 2495