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By Shirley Chu, Dezan Shira & Associates
China’s State Administration of Taxation (SAT) issued the Announcement on the Administration of Related-party Transactions and Contemporaneous Documentation (SAT Announcement [2016] No. 42), which introduces a three-tiered documentation framework that will replace its current transfer pricing documentation rules.
The June 29 announcement followed the publication of the opinion-seeking draft by the tax bureau in September 2015, and is largely consistent with the Base Erosion and Profit Shifting (BEPS) project launched by the Organization for Economic Cooperation and Development (OECD). Compared to the 2015 Draft, the announcement revised some terms and further clarified the requirements for reporting companies, as well as the information they need to submit. Below, we provide a brief summary of the key information taken from the announcement, and offer suggestions for multinational companies seeking to repatriate their profits from China to their headquarters.
China’s Corporate Income Tax Law and the Law on the Administration of Tax Collection stipulate that, in cases of related-party transactions, both Chinese resident enterprises who have sound accounting systems and non-resident enterprises operating and paying income taxes in China must make a joint declaration of their business activities when filing the annual income tax declaration form.
According to the new transfer pricing regulations, the number of related-party filing forms increased from nine to 22, including information disclosures with respect to the Country-by-Country (CBC) Report. The filing report needs to contain the following:
Additionally, the CBC Report form must be filed in accordance with the information disclosure requirement stipulated by Action 13 of BEPS. CBC Reports are required for the following taxpayers, who must submit them in both English and Chinese:
Enterprises are required to finish preparing their contemporaneous documentation before May 31 of the following year, and must submit documentation within 20 days of a request by the tax authorities. Please note that all documentation needs to be prepared in Chinese and sealed and signed by the company’s legal representative. Given the deadline is earlier than the BEPS recommendation of December 31, the draft allows Chinese filers to apply for an extension.
The regulations’ three-tiered framework for contemporaneous documentation consists of master files, local files, and special files:
Enterprises which have entered an advance pricing arrangement (APA) do not need to prepare local or special files, and the related party transaction amount covered in the APA is not included in the related party transaction amount.
Other pieces of information must be disclosed as part of the local file, the most important being:
The new regulations are part of a trend forming in China towards a harsher business environment, and also the implementation of stricter supervision on intercompany/related-party transactions. The promulgation of Announcement No.42 further clarifies the importance of related party filing and contemporaneous documentation. The instructions in the announcement provide more comprehensive and systematic rules in the anti-tax avoidance work of China’s tax authorities. The new, more detailed regulations will greatly increase the compliance workload of enterprises, and will pose new demands and challenges for taxpayers.
Considering the changes discussed above, we suggest that taxpayers take the following measures as soon as possible:
About the Author
Shirley Chu is Manager of Corporate Accounting Services at Dezan Shira & Associates, Dalian. Dezan Shira is a specialist foreign direct investment practice, providing corporate establishment, business advisory, tax advisory and compliance, accounting, payroll, due diligence and financial review services to multinationals investing in China, Hong Kong, India, Vietnam, Singapore and the rest of ASEAN. For further information, please email [email protected] or visitwww.dezshira.com.