Transfer Pricing FAQs published by Qatar Tax Authority

Posted on 11 May 2021


Qatar's General Tax Authority (GTA) has released FAQs on Transfer Pricing declaration and master & local file and documentation to guide taxpayers comply with their first TP compliance.

I. Scope of the transfer pricing Declaration requirement

Scope of the reporting obligation under Article 56

II. Deadline and method of filing the transfer pricing declaration

The transfer pricing declaration must be filed with the income tax return.

III. Content of the transfer pricing declaration

Two categories of information must be declared: 

IV. General information about the group of related entities

General description n is intended to identify the main activities of the group. The Master File and the Local File, the intangible assets to be mentioned in this part of the TP declaration must:-

The reporting entity must indicate the TP methodology(ies) used by the group.

V. Specific information on the reporting entity

 

MASTER FILE AND LOCAL FILE

I. scope of the reporting obligation under Article 57

 Residents in Qatar must submit a master file and a local file when they meet the following conditions:

II. Master file

It requires multinational enterprises to provide the General Tax Authority with high-level information regarding their global business operations and transfer pricing policies in a master file.

III. local file

Detailed transactional TP documentation is provided in a local file.

IV. Documents useful for the General Tax Authority

Master file and local file require taxpayers to articulate consistent TP positions.

V. Objectives of master file and local file requirements 

VI. Are taxpayers required to assess their compliance with the arm’s length principle?

The documentation would be prepared at the time of the transaction, no later than the time of completing and filing the tax return.

VII.quality transfer pricing risk assessment

The GTA will use a variety of tools and sources of information for identifying and evaluating TP risks of taxpayers and transactions, including TP declaration.

VIII. Information to be provided in the master file

The master file should provide an overview of the multinational enterprise group. The master file must include lists of important agreements, intangibles and transactions, taxpayers should use prudent business judgment in determining the appropriate level of detail.

IX.  Information to be provided in the local file

X. contemporaneous documentation

Where a taxpayer reasonably demonstrates that either no comparable data exists the taxpayer should not be required to incur costs in searching for such data.

XI. Timing for preparing the transfer pricing documentation 

A 30-day period is given to taxpayers to respond to specific General Tax Authority’s requests for documentation and other audit-related information requests.

XII. “Materiality

The transactions concerned are those between the enterprise that establishes the documentation and one or more associated enterprises and the amount of which, aggregated by category, exceeds QAR200,000 for the year.

 

 


Views : 1246
More by Mahnaz Dana


  Read comments (0 Comments)