02 November 2020 Chile's IRS establishes new transfer pricing documentation requirements The new affidavits require the submission of a large volume of information. Taxpayers should consider the effect the new affidavit requirements will have on their operations. The Chilean Internal Revenue Service (SII) has published Resolution No. 101, which establishes new Transfer Pricing Informative Sworn Statements No. 1950 (Annual Master File Affidavit) and No. 1951 (Annual Local File Affidavit). These affidavits are complementary to Affidavits No. 1937 (Country-by-Country Report) and No. 1907 (Transfer Pricing). With the new affidavits, Chile is aligned with the reporting obligations recommended in the international guidelines for transfer pricing by the Organisation for Economic Co-operation and Development and BEPS1 Action 13. This affidavit must be submitted by taxpayers with the obligation to submit the Country-by-Country Report, such as:
These requirements are different from those for the submission of Affidavit No. 1907. Therefore, taxpayers subject to the submission of Affidavit No. 1907 must evaluate whether they are also subject to the submission of Affidavit No. 1951. The due date for both affidavits is the last business day of June of each year. The due date may be extended once for up to three months upon request. Failing to file, late filing, erroneous or incomplete filing or intentionally filing false data are subject to a penalty that ranges from 10 to 50 Annual Tax Units (UTA2). The penalty, however, is limited to the higher of 15% of the equity or 5% of the taxpayer's capital. Taxpayers must submit the completed affidavits to the SII with annexes including financial information and describing the GEM's activities, structure and value chain. They also must submit supporting documents, such as contracts, agreements and calculation tables, among other things. Taxpayers should consider the effect the large volume of information required for the affidavits will have on their operations.
Document ID: 2020-2610 | |||||||||||||||||||