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Contents

Official guidance
International Exchange of Information Manual

IEIM300000 · Country-by-Country reporting

  • IEIM300010 · Introduction
  • IEIM300020 · OECD guidance
  • IEIM300030 · Groups in scope and entities that must report
  • IEIM300040 · When does it start and what is the deadline for filing?
  • IEIM300050 · The filing obligation
  • IEIM300060 · Exceptions to the filing obligation
  • IEIM300070 · Voluntary filing of CbC reports
  • IEIM300080 · UPEs - Direction relating to contents of the CbC report
  • IEIM300090 · UKEs – Directions relating to contents of the CbC reports
  • IEIM300100 · Directions relating to the information required to be included in Table 3 of the CbC report
  • IEIM300110 · Directions relating to notification requirements
  • IEIM300120 · Examples of filing and notification obligations
  • IEIM300121 · Directions relating to how CbC reports will be filed
  • IEIM300140 · Guidance on the completion of the CbC report
  • IEIM300160 · Which countries will HMRC exchange CbC reports with?
  • IEIM300170 · Master and Local files
  • IEIM300180 · How will HMRC use this information?
  • IEIM300190 · Appropriate use of Country by Country reporting data
  • IEIM300200 · Penalties
  • IEIM300210 · OECD 2020 review of CbC reporting
  • IEIM30002729 · Examples of filing and notification obligations
  • IEIM300031 · Directions relating to the filing of CbC reports on an XML schema
  • IEIM30003335 · Appropriate use of Country by Country reporting data
  1. Country-by-Country reporting: Contents
  2. Country-by-Country reporting: UPEs - Direction relating to contents of the CbC report

IEIM300080 | Country-by-Country reporting: UPEs - Direction relating to contents of the CbC report

From HM Revenue & Customs · International Exchange of Information Manual

The UK rules use many terms and definitions that are taken from the OECD guidance and that guidance should be checked when completing a CbC report.

The report must be made in the XML format agreed at the OECD and which is acceptable for the EU. The report will show for each country (tax jurisdiction) in which the multinational carries on business:

  • the amount of revenue, profit before income tax and income tax paid and accrued;

  • their total employment, capital, retained earnings and tangible assets.

UK UPEs will also have to identify each entity within their group doing business in a particular country and say what sort of business activity the entity is engaged in.

More information can be found in the OECD Tax Transparency Resource Centre and HMRC schema guidance.

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