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United Kingdom Statutory Instruments |
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You are here: BAILII >> Databases >> United Kingdom Statutory Instruments >> The Taxes (Base Erosion and Profit Shifting) (Country-by-Country Reporting) (Amendment) Regulations 2023 No. 752 URL: http://www.bailii.org/uk/legis/num_reg/2023/uksi_2023752_en_1.html |
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This is the original version (as it was originally made). This item of legislation is currently only available in its original format.
Statutory Instruments
Taxes
Made
4th July 2023
Laid before the House of Commons
5th July 2023
Coming into force
26th July 2023
1. These Regulations may be cited as the Taxes (Base Erosion and Profit Shifting) (Country-by-Country Reporting) (Amendment) Regulations 2023 and come into force on 26th July 2023.
2.—(1) The Taxes (Base Erosion and Profit Shifting) (Country-by-Country Reporting) Regulations 2016( 3) are amended as follows.
(2) In regulation 3, in each place it occurs, omit “, 3C”.
(3) In the heading to regulation 3A, omit “and notification by Ultimate Parent Entities”.
(4) In regulation 3A—
(a) omit paragraphs (2) to (4), and
(b) in paragraph (5), for “requirements” substitute “requirement”.
(5) Omit regulation 3C.
(6) In regulation 7(1)(a)(ii), for “3A(2), 3B(4)(a) or 3C(3)” substitute “3B(4)(a)”.
(7) In regulation 8A, for “3A(2), 3B(4)(a) or 3C(2)” substitute “3B(4)(a)”.
(8) In regulation 10—
(a) in paragraph (1)(a), omit “and provide a notification”, and
(b) omit paragraph (1)(c).
(9) In regulation 12, omit—
(a) “3A(2),”, and
(b) “, 3C(3)”.
(10) In regulation 16(3)(a)—
(a) omit “3A(2),”, and
(b) for “, 3B(4) or 3C(3)” substitute “or 3B(4)”.
Stuart Anderson
Amanda Solloway
Two of the Lords Commissioners of His Majesty’s Treasury
4th July 2023
(This note is not part of the Regulations)
These Regulations amend the Taxes (Base Erosion and Profit Shifting) (Country-by-Country Reporting Regulations 2016 ( S.I. 2016/237) (“ the Principal Regulations”).
The Principal Regulations give effect to the OECD Country-by-Country Reporting Guidance set out in the “Transfer Pricing Documentation and Country-by-Country Reporting, Action 13: 2015 Final Report” published on 5th October 2015. (Available on the OECD website athttps://www.oecd.org/tax/transfer-pricing-documentation-and-country-by-country-reporting-action-13-2015-final-report-9789264241480-en.htm). The Principal Regulations impose certain reporting requirements on entities that are members of multi-national groups.
These Regulations amend the Principal Regulations to remove a notification requirement ancillary to the main reporting requirement imposed by the Principal Regulations and that is now considered to be unnecessary. These Regulations also make minor consequential amendments to remove redundant cross-references in the Principal Regulations to the revoked notification requirement.
A Tax Information and Impact Note has not been prepared in relation to these changes as they contain no substantive changes to tax policy.