https://mnetax.com/us-argentina-agree-to-exchange-country-by-country-reports-of-large-multinational-42276 MNE Tax Stay up to date on the latest tax and transfer pricing news with our free newsletter Sign Up Now MENUMENU * Home * Latest * Transfer Pricing * Digital Economy * Multinational + All Multinational o BRICS o CIAT o G20 o G7 o Holy See o Inclusive Framework on BEPS o International Monetary Fund o OECD o United Nations o World Bank Group o World Trade Organization * Africa + All Africa o Algeria o Angola o Benin o Botswana o Burkina Faso o Cabo Verde o Cameroon o Congo + ----- o Cote d'Ivoire o Guyana o Djibouti o Egypt o Ethiopia o Gabon o Ghana + ----- o Montserrat o Kenya o Lesotho o Liberia o Malawi o Mali o Mauritius + ----- o Morocco o Namibia o Nigeria o Rwanda o Senegal o Seychelles o Sierra Leone + ----- o South Africa o South Sudan o Swaziland o Tunisia o Uganda o Zambia o Zimbabwe * Americas + All Americas o Anguilla o Antigua and Barbuda o Argentina o Aruba o Bahamas o Barbados o Belize o Bermuda o Bolivia + ----- o Brazil o Canada o British Virgin Islands o Cayman Islands o Chile o Colombia o Costa Rica o Cuba o Curacao + ----- o Dominica o Dominican Republic o Ecuador o El Salvador o Grenada o Guatemala o Haiti o Honduras o Nicaragua + ----- o Saint Lucia o Jamaica o Mexico o Panama o Paraguay o Peru o Saint Kitts and Nevis o Saint Martin o Saint Vincent and the Grenadines + ----- o St. Lucia o Suriname o Trinidad and Tobago o Turks and Caicos Islands o United States o Uruguay o US Virgin Islands o Venezuela * Asia-Pacific + All Asia-Pacific o American Samoa o Armenia o Australia o Azerbaijan o Bahrain o Bangladesh o Bangladesh o Bhutan o Brunei o Cambodia o China o Cook Islands o Fiji o Georgia + ----- o Guam o Hong Kong o India o Indonesia o Iran o Iraq o Israel o Japan o Jordan o Kazakhstan o Kiribati o Kyrgyzstan o Kuwait + ----- o Laos o Lebanon o Macau o Malaysia o Maldives o Marshall Islands o Mongolia o Myanmar o Nauru o Nepal o New Zealand o Niue + ----- o Oman o Pakistan o Palau o Papua New Guinea o Philippines o Qatar o Samoa o Saudi Arabia o Singapore o Solomon Islands o South Korea + ----- o Sri Lanka o Taiwan o Thailand o Tonga o Turkey o Turkmenistan o Tuvalu o United Arab Emirates o Uzbekistan o Vanuatu o Vietnam * Europe + All Europe o Albania o Andorra o Austria o Belarus o Belgium o Bulgaria o Council of the European Union o Croatia o Cyprus o Czech Republic o Denmark + ----- o Estonia o European Commission o European Council o European Court of Justice o European Parliament o Faroe Islands o Finland o France o Germany o Gibraltar o Greece + ---- o Greenland o Guernsey o Hungary o Iceland o Ireland o Isle of Man o Italy o Jersey o Kosovo o Latvia o Liechtenstein + ---- o Lithuania o Luxembourg o Macedonia o Malta o Monaco o Norway o Poland o Portugal o Romania o Russia o San Marino + ----- o Serbia o Slovakia o Slovenia o Spain o Sweden o Switzerland o The Netherlands o Ukraine o United Kingdom MENUMENU * International Tax and Transfer Pricing Expert Authors + Americas o Argentina o Brazil o Canada o Chile o Canada o Colombia o Mexico o Peru o United States # DC area # California # Florida # Illinois # Massachusetts # New York # Pennsylvania # Washington o Uruguay + Europe o Austria o Belgium o Bulgaria o France o Croatia o Denmark o Finland o Germany o Ireland o Italy o Luxembourg o Netherlands o Norway o Poland o Spain o Sweden o Switzerland o Ukraine o United Kingdom + Asia-Pacific o Australia o Cambodia o China o Georgia o Hong Kong o India o Israel o Japan o Singapore o South Korea o Thailand o Turkey o United Arab Emirates o Vietnam + Africa o Benin o Cote d'Ivoire o Kenya o Mauritius o Nigeria o South Africa o Zimbabwe US, Argentina agree to exchange country-by-country reports on large multinationals January 28, 2021 Americas, Argentina, More News, Transfer Pricing, United States Share Tweet Share Reddit Buffer The US and Argentina have signed a competent authority agreement to exchange country-by-country reports describing aspects of the tax affairs of large multinational groups, the US IRS announced today. The aim of the exchange is to allow country tax authorities better insight into the activities of the multinational and it's into its tax liabilities and payments. The reports help tax authorities determine if there is a risk that the multinational is avoiding tax through inappropriate transfer pricing or through other means. The text of the US-Argentina competent authority agreement is not yet available. Be the first to comment Leave a Reply Cancel reply Your email address will not be published. Comment [ ] [ ] [ ] [ ] [ ] Name [ ] Email [ ] Website [ ] [Post Comment] [ ] [ ] [ ] [ ] [ ] [ ] [ ] [ ] [MNE_Ad_300x250_HH_V4_01-28-21] Sponsor Posts [RS_logo_DB-Engines-tran] The CAPM is misapplied in transfer pricing by Ednaldo Silva, Ph.D. The capital asset pricing model (CAPM) is widely used to calculate the expected return of equity shares, considering their risk relative to a stock market portfolio. The CAPM is ill-suited to valuing assets that lack stock's . . . [tpaglobal140] Join our Tax + Technology community! TPA Global delivers scalable solutions to tax advisors in the area of tax & legal, digital transformation, compliance, and effective dispute resolution. Join our community! Together, we will help our clients achieve continuous tax transformation. Read more . . . [RS02_EdgarStat_Logo_08] Worldwide transfer pricing analytics EdgarStat(r) is an online database of listed global company financial information, annual reports, and transfer pricing analytics. Our financials include multi-year income statement, balance sheet, and financial ratios. Read more here . . . What's Next OECD/G20 Inclusive Framework on BEPS open meeting. Topics: tax challenges arising from Jan. 28 digitalisation, G20 2021 priorities; public Virtual 12:30-15:30 consultation on the Pillar One and Pillar Two Event CET Blueprints; BEPS and tax certainty; tax transparency and exchange of information; tax and the environment. 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A nuanced reflection on the work of OECD-WP1 on the tax treaty implications of the Covid-19..." January 30 ,2021 * Vineet Rachh on COVID-19 and tax treaties: the updated OECD guidance: "Well written Parwin! Thanks for sharing the thoughts" January 29 ,2021 * Martin Leth on Transactional profit indicators for the TNMM are not viable: "Dear Dr. Silva I can add the following information to my example: The MNE also owns company C - a..." December 21 ,2020 * Philip D Greig on 18 more nations meet global standards on countering harmful tax practices, OECD says: "Too obtuse.Show some guts!This is an important issue state your position so the 99 percent of humans who aren't uber..." December 18 ,2020 Sign up for FREE Updates: Don't miss the latest tax & transfer pricing news! Sign up now Latest * In a call with French finance minister Bruno Le Maire, US Secretary Janet Yellen committed "to re-engage actively in the ongoing OECD discussions on international taxation to forge a timely international accord": US Department of the Treasury- January 28, 2021 * US Democrat senators introduce bill applying GILTI on a per-country basis, eliminating companies' ability to deduct 10 percent of their tangible assets before GILTI applies: Sen. Amy Klobuchar- January 28, 2021 * Hong Kong laws granting profits tax concessions for insurance-related business and setting March 19 the law's effective date were gazetted, government notes: Hong Kong government- January 28, 2021 * US, Argentina agree to exchange country-by-country reports on large multinationals January 28, 2021 * New Paraguay law extends withholding tax to digital services January 27, 2021 * In call to UK Chancellor of the Exchequer Sunak, US Treasury secretary Yellen discussed the need to find multilateral solutions to "efficiently and equitably" tax multinational firm income: US Department of Treasury- January 27, 2021 * COVID-19 and tax treaties: the updated OECD guidance January 27, 2021 * In a call to German minister Scholz, new US Treasury secretary pledges active US participation in OECD international taxation effort "to forge a timely international accord": US Department of Treasury- January 27, 2021 Recent Comments * KASIRYE LINCON on COVID-19 and tax treaties: the updated OECD guidance: "Nice piece. Thanks for adding on the body of knowledge with such a well thought insight." January 31 ,2021 * Emmanuel Eze on COVID-19 and tax treaties: the updated OECD guidance: "Great Article, Ms Dina. A nuanced reflection on the work of OECD-WP1 on the tax treaty implications of the Covid-19..." January 30 ,2021 * Vineet Rachh on COVID-19 and tax treaties: the updated OECD guidance: "Well written Parwin! Thanks for sharing the thoughts" January 29 ,2021 * Martin Leth on Transactional profit indicators for the TNMM are not viable: "Dear Dr. Silva I can add the following information to my example: The MNE also owns company C - a..." December 21 ,2020 * Philip D Greig on 18 more nations meet global standards on countering harmful tax practices, OECD says: "Too obtuse.Show some guts!This is an important issue state your position so the 99 percent of humans who aren't uber..." December 18 ,2020 Transfer Pricing News * US, Argentina agree to exchange country-by-country reports on large multinationals January 28, 2021 * Ferragamo France's transfer pricing dispute and resale price method abuse January 25, 2021 * Swedish court denies telecom giant's tax deduction for exchange losses January 20, 2021 * Rwanda introduces transfer pricing regulations January 20, 2021 * Vietnam's transfer pricing regulations create new challenges January 20, 2021 R&D Tax Credit News * The end of the "double-Irish" tax structure means that a greater share of MNE profits are taxed in the US where the R&D generating the profits is undertaken: Seamus Coffey / Irish Examiner- January 4, 2021 * US Congress passes stimulus bill that extends PTC and ITC for land-based wind for one year at 60%, solar ITC for two years at 26%, gives offshore wind projects a 30% ITC, extends tax credit for carbon recapture by two years: Catherine Morehouse / Utility Dive- December 23, 2020 * Updated Ireland R&D tax credit guidance addresses plant and machinery, reflects UK's withdrawal from EU: Irish Tax and Customs- December 22, 2020 * UK draft tax proposals include hybrid mismatch fixes, R&D tax credit cap November 12, 2020 * Ireland updates guidance on R&D tax credit refunds: Irish Tax and Customs- November 11, 2020 Search MNE Tax Search for: [ ] [Search] Trending Now * Arm's length principle mutations: control of risk in the OECD guidelines and variations in practice by Andrew Hickman | posted on January 13, 2021 * US, Argentina agree to exchange country-by-country reports on large multinationals by Staff | posted on January 28, 2021 * French High Court in Valueclick interprets tax treaty permanent establishment rules by Mickael Duquenne | posted on January 5, 2021 * Ferragamo France's transfer pricing dispute and resale price method abuse by Dr. Harold McClure | posted on January 25, 2021 * Swedish court denies telecom giant's tax deduction for exchange losses by Erik Koponen | posted on January 20, 2021 * COVID-19 and tax treaties: the updated OECD guidance by Parwin Dina | posted on January 27, 2021 * Dow Chemical and Canada's transfer pricing dispute: litigating pennies while ignoring a large toll manufacturing issue by Dr. Harold McClure | posted on January 12, 2021 * The origins of transfer pricing's comparable profits method by Ednaldo Silva | posted on January 6, 2021 [logo-3-linkend-1] International Tax News Transfer Pricing News Publish with MNE Tax Sponsor MNE Tax Expert Author listing / Author Spotlight About Contact Us Privacy Policy Cookie Policy Stay connected * LinkedIn * Twitter * Facebook Copyright (c) 2021. 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