In Ukraine, the first deadline to settle withholding tax liabilities associated with transfer pricing adjustments is 30 September 2022. As from 1 January 2021, transfer pricing adjustments (and certain other payments to nonresidents related to a company’s capital) are treated as dividend-equivalent payments subject to a 15% withholding tax. However, the withholding tax may be reduced (even eliminated) under a double tax treaty to which Ukraine is party.
In this respect, the following should be considered when determining whether a reduced withholding tax rate applies under a double tax treaty:
A detailed analysis should be performed as to how payments made in fiscal year 2021 for each controlled transaction that may not have been performed at arm’s length should be treated under the relevant double tax treaty. In addition, tax residency certificates should be obtained from counterparties in such controlled transactions. In order to obtain the benefits from a double tax treaty for fiscal year 2021 controlled transactions, it is recommended to obtain the tax residency certificates (if not readily available), legalized or apostilled and translated into Ukrainian, before 1 October 2022.
Comments provided by Deloitte experts herein are for information purpose only and should not be used by taxpayers without an in-depth expert analysis on a case-by-case basis.
We will be happy to provide you with consulting assistance regarding the specified topic or any other issues related to transfer pricing.
Subscribe to our Telegram channel "Deloitte Ukraine Voices" to stay tuned on the latest firsthand news, articles, podcasts, and other materials. Hear the voices of our experts!
Opens in new window
Return to the previous page: Latest News on Transfer Pricing