December 19th, 2017. As part of the updates made by the Mexican tax authority SAT – Tax Administration Service to comply with the Action Plan against the Base Erosion and Profit Shifting “BEPS” issued by the Organization for Economic Co-operation and Development OECD, on November 1st. 2017, this entity together with the Attorney’s Office of…
read moreOne of the tax obligations not modified by the fiscal reforms of 2014 in Mexico is the obligation to document and to support physically and legally all intercompany operations carried out by any entity and individuals and assure they are performed as per marketing standards by the issuance of a transfer price study, therefore, its…
read moreLast July 23rd, Tax Administration Service (SAT) published 16 Normative Criteria about different fiscal matters and 5 of them were related to Transfer Pricing.
read moreLast November 12th was published Rule I.3.8.3 in the Federal Official Gazette, releasing taxpayers from gathering and self-keeping the supportive Transfer Pricing Documentation of transactions with Mexican Related Parties, in the following cases:
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