BEPS Central: China

Duff & Phelps provides additional new transfer pricing documentation requirements, jurisdiction by jurisdiction, including filing dates, notification dates, filing thresholds and penalties.

China Country-by-Country Reporting Tear Sheet

Status of Domestic Legislation

Legislation in force

First Period Covered

Financial years beginning on or after January 1, 2016

Filing Deadline

To be filed with ultimate parent’s income tax return by May 31 after the year end

Turnover Threshold

RMB 5.5 billion

Deadline for Notification of Reporting Entity

May 31, 2017

Signatory to CbC Multilateral Competent Authority Agreement (“CbC MCAA”)?
(The CbC MCAA is an agreement which provides that Country-by-Country reports filed with the tax authority of a signatory will be automatically exchanged with the tax authorities of all other signatories).

Yes

Covered by EU Directive 2011/16/EU?
(This directive requires that all EU member states co-operate in the field of taxation. Specifically, Amendment DAC4 requires multinationals to report certain financial information, now to include Country-by-Country Reporting, in every country in which they operate).

No

Member of Inclusive Framework on BEPS Implementation?
(Membership of the inclusive framework on BEPS implementation commits jurisdictions to implementing the BEPS package, including CbC reporting).

Yes

Penalties
(Late Penalties: Penalties for late/non-filing.
Inaccurate/False Information Penalties: Penalties for provision of inaccurate or false information)


Yes

Secondary Filing
(Does the jurisdiction require filing of the CbC report by a local group entity where the report is not made available by the jurisdiction of the ultimate parent entity)?

Secondary filing is not required, but CbC report may be required on audit

Surrogate Filing
(Does the jurisdiction permit the appointment of a substitute local entity in place of the ultimate parent entity for the purpose of filing the CbC report on behalf of the group)?

Surrogate filing is permitted

Method of Filing

To be filed with the PRC Annual Related Party Transactions Reporting Forms

CbC Language Requirements

TBA

Master file/Local File 
(Action Point 13 also included guidance on Master file and Local file requirements, including specific items to be included and the format of such reports. Where a jurisdiction has amended its transfer pricing documentation requirements because of Action 13 to adopt the Master file and Local file concepts, this is noted below).

Master File

Status of Domestic Legislation: Legislation in force
Reporting Threshold: Either: a) the Chinese entity is part of a multinational group that files a master file;
or b) related party transactions exceed RMB 1 billion
Filing Deadline: To be prepared within 12 months of end of income year. Filing within 30 days, upon request.
First Period Covered: Financial years beginning on or after January 1, 2016
Language Requirement: Chinese

Local File

Status of Domestic Legislation: Legislation in force
Reporting Threshold: Either: a) The annual amount of ownership transfer of tangible assets with related parties is over RMB 200 million;
or b) The annual amount of financial asset transfers with related parties is over RMB 100 million;
or c) The annual amount of ownership transfers of intangible assets with related parties is over RMB 100 million;
or d) The annual amount of other related party transactions is over RMB 40 million.
Filing Deadline: To be prepared by June 30 following the tax year in question. Filing within 30 days, upon request.
First Period Covered: Financial years beginning on or after January 1, 2016
Language Requirement: Chinese