BEPS Action Plan 13 influence on Pan-LATAM MNCs

BEPS Action Plan 13 influence on Pan-LATAM MNCs
Specialties
Country expertise
Industries
Base Erosion and Profit Shifting (BEPS)
BEPS Action Plan 13 influence on Pan-LATAM MNCs
October 22nd, 2015
As tax administrations and international economic organizations reach consensus for implementing international measures that will promote tax transparency amongst the business community, uncertainties rise around the scope and extent of some of the action points proposed to drive tax transparency between jurisdictions. For example, the implementation of Action plan 13.

As tax administrations and international economic organizations reach consensus for implementing international measures that will promote tax transparency amongst the business community, uncertainties rise around the scope and extent of some of the action points proposed to drive tax transparency between jurisdictions. For example, the implementation of Action plan 13.

Action plan 13 of the OECD’s BEPS initiatives addresses ‘Guidance on the Implementation of Transfer Pricing Documentation and Country-by-Country Reporting’. The aim of this action plan is to enhance transparency for tax administrations by providing them with adequate information to conduct transfer pricing risk assessments and examinations. To tackle these issues, Action plan 13 introduced a four-tiered approach that should allow tax administrations to compile relevant data on how multinational companies allocate taxable revenues and liabilities across the various countries where they operate:  Tier 1) a Masterfile, Tier 2) a Local file, Tier 3) Country by Country reporting (CbC) and Tier 4) Local transfer pricing forms.

A total of 44 countries are participating in the BEPS project on an equal footing. Within these group of elite countries only a few are in Latin American (LATAM) – Argentina, Brazil, Chile, Colombia, Costa Rica and Mexico – each having a different degree of involvement in the implementation of BEPS initiatives. Thus far only Mexico has recently proposed the introduction of specific BEPS initiatives relating to Action plan 13 in its tax system that if approved would take effect as from 1 January 2016. Considering these facts, what can be expected from these countries and from other LATAM countries in the context of Action plan 13? Your organization may probably be asking the same question.

The webinar will consider the following:

  • How much involvement in the implementation of Action 13 can multinational companies expect from LATAM countries?
  • Should an MNC with operations in LATAM tackle its transfer pricing issues in the context of Action plan 13 different across the LATAM countries?
  • Taking Mexico as the ‘country pilot’ for LATAM for the introduction of Action plan 13 initiatives, how should MNCs with operations in the LATAM region prepare for effective transitioning towards a four tiered documentation approach?

At the end of the web event, you will:

  • Understand how internal and external factors will influence the LATAM approach to promoting the implementation of Action plan 13;
  • Identify the LATAM countries expected to lead the ‘tax transparency’ era and the potential implications of their initiatives to your company.
  • Realise the benefits for implementing a consistent, secure and cost-effective approach to tackle Action plan 13 initiatives in the context of your company’s operations in LATAM.
BEPS Action Plan 13 influence on Pan-LATAM MNCs
; posted on
October 22nd, 2015
As tax administrations and international economic organizations reach consensus for implementing international measures that will promote tax transparency amongst the business community, uncertainties rise around the scope and extent of some of the action points proposed to drive tax transparency between jurisdictions. For example, the implementation of Action plan 13.

Copyright © 2016
Transfer Pricing Associates BV.
All rights reserved.

Disclaimer | Privacy

H.J.E. Wenckebachweg 210
1096 AS Amsterdam
T: +31 20 462 3530
E: info@tpa-global.com
I: www.tpa-global.com