China Policy in the Lead – A Full Value Chain Analysis for FY 2016 required

China Policy in the Lead – A Full Value Chain Analysis for FY 2016 required
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China Policy in the Lead – A Full Value Chain Analysis for FY 2016 required
September 1st, 2016
The China State Administration of Taxation ("SAT"), on June 29, 2016 issued "the Public Notice on Matters Regarding Refining the Filing of Related Party Transactions and Administration of Contemporaneous Transfer Pricing (“TP”) Documentation Public Notice of the State Administration of Taxation [2016] 42” ("Notice 42"), which replaced certain sections laid down in “Guoshuifa [2008] Circular 114 in relation to annual filing of related party transactions and certain sections laid down in the “Guoshuifa [2009] (“Circular 2”) in relation to contemporaneous TP documentation.
Notice 42 mainly reflects the Chinese tax authority’s position in responding the international standard set out in the OECD/G20 BEPS Action 13~~ (“Action 13”) in relation to TP documentation and country-by-country (“CbC”) reporting

The China State Administration of Taxation ("SAT"), on June 29, 2016 issued "the Public Notice on Matters Regarding Refining the Filing of Related Party Transactions and Administration of Contemporaneous Transfer Pricing (“TP”) Documentation Public Notice of the State Administration of Taxation [2016] 42” ("Notice 42"), which replaced certain sections laid down in “Guoshuifa [2008] Circular 114  in relation to annual filing of related party transactions and certain sections laid down in the “Guoshuifa [2009] (“Circular 2”) in relation to contemporaneous TP documentation.

Notice 42 mainly reflects the Chinese tax authority’s position in responding the international standard set out in the OECD/G20 BEPS Action 13~~ (“Action 13”) in relation to TP documentation and country-by-country (“CbC”) reporting

In particular, Notice 42 introduced a value chain analysis (“VCA”) which is newly added and requested to be included in the local file documentation as of January 1, 2016. This analysis requires MNEs to disclose the following information:

  • Flow of intercompany transactions, goods and capital, as well as description of all related parties involved in “value creation”.
  • Annual financials statement of each related party involved.
  • Measurement and attribution of “value creation” contributed by location specific factors (such as location savings and market premium etc.).
  • Information on the variable used profit allocation in the global value chain.

According to Notice 42, VCA should be performed in the local file documentation. SAT did not provide any further detailed instruction on how detailed information should be disclosed in relation to VCA.

The SAT is aiming to use the VCA to gain a better insight on the business activities and profit positions of the Chinese entities versus other related parties involved in MNE’s global value chain, and also to determine profit attribution in relation to intangibles assets. Through using VCA, the SAT and local tax authority may be able to identify any misalignment between tax and economic reality within a MNE group which the Chinese entities are part of.

For a detailed assessment on how Notice 42 and VCA might affect your business and TP documentation, please contact TPA China desk:

Ying van Galen Wang
Project Manager, TPA Global
Amsterdam (The Netherlands)
+31 (0)20 262 2986
y.wang@tpa-global.com
Zhiqun Shi
Tax Partner, M&T Lawyers
Beijing (China)
+86 (0)10 5900 9170
Zhiqun.shi@minterpku.com
 

~~ OECD/G20 BEPS Project - Transfer Pricing Documentation and Country-by-Country Reporting – Action 13 issued by OECD on 5 October 2015.

China Policy in the Lead – A Full Value Chain Analysis for FY 2016 required
; posted on
September 1st, 2016
The China State Administration of Taxation ("SAT"), on June 29, 2016 issued "the Public Notice on Matters Regarding Refining the Filing of Related Party Transactions and Administration of Contemporaneous Transfer Pricing (“TP”) Documentation Public Notice of the State Administration of Taxation [2016] 42” ("Notice 42"), which replaced certain sections laid down in “Guoshuifa [2008] Circular 114 in relation to annual filing of related party transactions and certain sections laid down in the “Guoshuifa [2009] (“Circular 2”) in relation to contemporaneous TP documentation.
Notice 42 mainly reflects the Chinese tax authority’s position in responding the international standard set out in the OECD/G20 BEPS Action 13~~ (“Action 13”) in relation to TP documentation and country-by-country (“CbC”) reporting
TPA China Desk

TPA Global, one of the leading independent global transfer pricing services groups, introduces the TPA CHINA Desk to satisfy the burgeoning demand for specialist transfer pricing services by Chinese multinationals with operations in Europe - as well as European multinationals with operations in China.

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