MoF launches tax management scheme
HA NOI (VNS)- From February 5, enterprises can negotiate
and reach agreements with tax authorities over the taxable prices of their
goods or services, according to a newly-released circular by the Finance
Ministry on the implementation of the Advance Pricing Agreement.
Under the amended
Tax Administration Law, which came into effect last July, the Advance Pricing
Agreement (APA) is a binding and written agreement between the tax authority
and taxpayers for a period of time with respect to the determination of the
‘basis for tax' calculation, the transfer pricing method and the application
of the arm's length principle for transfer pricing.
The APA will be
issued before taxpayers submit their tax declaration documents.
In other words,
under an APA, enterprises will have to pay a fixed amount of tax, regardless
of whether they make a profit or loss on their operations. That is because,
under an APA, the price and quantity of the goods are already agreed to by
the tax payer and the tax authority. The tax is calculated on that price and
quantity, not on the annual business operations of the firm.
According to the
ministry, the implementation of the APA will improve tax management, reduce
the costs of tax compliance and reduce conflicts in determining market prices
for business activities that generate profits for enterprises to meet their
obligations of corporate income tax.
The APA is also
expected to help in the fight against fraudulent transfer pricing.
Under Circular 201/2013/TT-BCT,
an APA can be unilateral, bilateral or multilateral. In particular, when a
taxpayer requests an APA for a transfer pricing method or a price based on
arm's length pricing for related-party transactions, such a request will be
based on an agreement between the tax authority and the taxpayer on a
unilateral, bilateral or multilateral basis.
That means the
agreement can be between a Vietnamese tax authority, the taxpayer and the tax
authorities of relevant countries or territories.
An APA can be enforced
for up to five years, and can be extended for a maximum of another five
years.
Nguyen Quang Tien,
director of the Tax Reform and Modernisation Department under the ministry's
General Department of Taxation, told the Hai quan (Customs) newspaper that
the APA mechanism is expected to become an effective tool for tax authorities
to collect taxes and prevent fraudulent transfer pricing by enterprises.
"It will also
make enterprises more careful while drawing up business plans and fulfilling
their tax obligations," he said, adding that when applying for an APA,
corporate taxpayers need to provide information and evidence to help the tax
authority assess a company's method of arriving at a proposed market price.
The tax authority
has the right to accept or refuse the applications, he pointed out.
As quoted in Thoi
bao Kinh Doanh (Business Times), deputy general director of Ernst&Young
Viet Nam and member of the Viet Nam Tax Consultants' Association Vu Thi Lan
Huong said the APA provides a way to simplify tax administration, help the
government receive stable income and increase the compliance of companies by
ensuring that transfer pricing audits are avoided during the duration of the
APA.
The APA will help
enterprises reduce some risks that affect their profit, such as paying
arrears or fines if they were found to have violated tax regulations, she
added.
Bui Ngoc Tuan,
deputy general director of Deloitte Viet
However, he
expressed worries about the application of the APA in
For instance, he
said, customs officials tend to prefer highly taxed imported goods because
that increases their tax collections, but it also leads to lower corporate
income tax.
"If the
products are sold in
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Thứ Tư, 15 tháng 1, 2014
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