Category: Transfer Pricing Library

The South African Revenue Service (SARS) issues Arm's Length Guidance on Intra-Group Loans

The South African Revenue Service (SARS) issues Arm’s Length Guidance on Intra-Group Loans

17 January 2023 the South African Revenue Service (SARS) released an interpretation note (IN 127) titled “DETERMINATION OF THE TAXABLE INCOME OF CERTAIN PERSONS FROM INTERNATIONAL TRANSACTIONS: INTRA-GROUP LOANS” which provides guidance on how SARS will determine arm’s length pricing for intra-group loans. The Note also provides guidance on the consequences for a taxpayer if the amount of debt, the cost of debt or both are not arm’s length. According to the note an intra-group loan would be incorrectly priced if the amount of debt funding, the cost of the debt or both are excessive compared to what is arm’s length. Legal-IN-127-Determination-of-the-taxable-income-of-certain-persons-from-international-transactions-Intra-group-loans ... Continue to full case
Brazil issues Draft Legislation on implementation of the Arm's Length Principle

Brazil issues Draft Legislation on implementation of the Arm’s Length Principle

28 December 2022 Brazil published draft legislation on implementation of the arm’s length principle as described in the OECD Transfer Pricing Guidelines. The new provisions came into effect on the date of publication and must be converted into law by the National Congress. The new transfer pricing regime will be optional for taxpayers for 2023 and mandatory as of 2024. Unofficial English Translation MEDIDA PROVISÓRIA Nº 1.152, DE 28 DE DEZEMBRO DE 2022 - BRAZIL - MEDIDA PROVISÓRIA Nº 1.152, DE 28 DE DEZEMBRO DE 2022 - DOU - Imprensa Nacional ... Continue to full case