Cerrar
Home / Blog / Transfer Pricing Newsletter, February 2020

Transfer Pricing Newsletter, February 2020

29 February 2020

Focus of 2020 General Tax Control Plan on Related-party Transactions and Transfer Pricing

With publication of the 2020 Annual Tax and Customs Control Plan and the Tax Agency’s Strategic Plan for 2020-2023 in late January, it is clear that the Spanish Tax Agency is looking more closely, in their investigations and checks for tax fraud, at issues associated with related-party transactions and transfer pricing.

In this regard, the 2020 Annual Tax and Customs Control Plan shows that, for internal tax control, a series of specific actions will be undertaken regarding related-party transactions, according to the guidelines mentioned below:

1. Putting in place a new automated risk-analysis system for transfer pricing based on all the information currently available to the Tax Agency on related-party transactions, making effective use of the information available from inspections as a result of the BEPS project, both in the OECD and the European Union, including automatic exchange of information on some income, what are known as unilateral arrangements with Tax Agencies, and information from the Country-by-Country Report, under Action 13 of the aforementioned BEPS Project.

All of the above is due to greater awareness the Tax Agency has of national and international business groups and the sectors they operate in, which will allow them to better analyse the risks with indicators, indices and models, and to identify patterns of high-risk tax behaviours.

2. Special attention will be paid to compliance with obligations to provide documentation and information on transfer pricing, notwithstanding substantial analysis to assess the functions, assets and risks in said documents.

3. The areas that will receive special attention in 2020, in terms of transfer pricing, are:

3.1. Corporate restructuring.

3.2. Assessment of intra-group transfers of assets (specifically non-tangible).

3.3. Deduction of line-items that have a significant impact on the gross tax base, such as payment of royalties for transfer of non-tangible assets or intra-group services.

3.4. Posting repeated losses.

4. Priority attention will be paid to failure to declare income from services provided without output tax.

5. Preferential attention will be paid to fiscally related transactions of a financial nature (loans, inter-company accounts, etc.).

With the above, it is clear that the Spanish Tax Agency, from 2020, will be more closely monitoring related-party transactions and requiring documentation of transfer pricing.

More Information:

If you have any specific questions or comments on the latest changes in Transfer Pricing or want more information on how they can affect your business, don’t hesitate to contact us.

 

Elena Ramírez
Fiscal Department Partner
Kreston Iberaudit
Email: elena.ramirez@kreston.es

 

Mario Quílez
Transfer Pricing Manager
Fiscal Department
Kreston Iberaudit
Email: mario.quilez@kreston.es

 

Mario Pires
Transfer Pricing Consultant
Fiscal Department
Kreston Iberaudit
Email: mario.pires@kreston.es

RELATED POSTS

Transfer Pricing Newsletter, November 2019

The Kreston Iberaudit Transfer Pricing team, in this first publication, is providing details on key issues regarding the penalties that apply to failure to comply with documentation obligations in terms of transfer pricing, as per the regulations on Corporation Tax (Impuesto de Sociedades – IS).
See more

Patrimonial / professional companies

The successive cases of natural persons who, through the creation of the colloquially denominated “patrimonial” companies, expected obtain tax savings have recently jumped into the media. This typology of mercantile society has been used for the possession of assets for personal use and the billing [...]
See more

Individual Income Tax Campaign 2018

On April 1, the income and equity campaign for the year 2018 began, with the deadline ending on July 1, 2019. It is important that when preparing your statement, review the tax information that can be obtained from the AEAT website and verify the content [...]
See more

Newsletter

Newsletter

Contact us, we will get back to you as soon as possible

By submitting this form, you agree to the Kreston Iberaudit privacy policy below.

Purposes: Sending our commercial newsletter and informative and advertising communications about our products or services that may be of interest to you, including by electronic means.
Rights: You may withdraw your consent at any time, as well as access, rectify, delete your data and other rights at oficina.coordinadora@kreston.es .
Additional Information: You can find more information on the Privacy Policy link.
Consentimiento(Required)
Boletin(Required)
This field is for validation purposes and should be left unchanged.