Menu
  • Locations
  • About Us
  • Services
  • Experts
  • News & Knowledge
  • Hot Topics
  • Culture & Career
  • Locations
  • Search
  • Press
  • Events & Webinars
  • CI Guide
  • Contact
  • Albania
  • Angola
  • Argentina
  • Armenia
  • Australia
  • Austria
  • Bangladesh
  • Belgium
  • Benin
  • Bolivia
  • Bosnia & Herzegovina
  • Botswana
  • Brazil
  • Bulgaria
  • Burkina Faso
  • Burundi
  • Cambodia
  • Cameroon
  • Canada
  • Chile
  • China
  • Colombia
  • Costa Rica
  • Croatia
  • Cyprus
  • Czech Republic
  • Denmark
  • Dominican Republic
  • Ecuador
  • Egypt
  • El Salvador
  • Estonia
  • Finland
  • France
  • Georgia
  • Germany
  • Ghana
  • Gibraltar
  • Greece
  • Guatemala
  • Guinea
  • Honduras
  • Hong Kong
  • Hungary
  • Iceland
  • India
  • Indonesia
  • Iran
  • Iraq
  • Ireland
  • Israel
  • Italy
  • Ivory Coast
  • Japan
  • Kazakhstan
  • Kenya
  • Korea
  • Kyrgyzstan
  • Laos
  • Latvia
  • Lithuania
  • Luxembourg
  • Macao
  • Madagascar
  • Malaysia
  • Mali
  • Malta
  • Mauritius
  • Mexico
  • Moldova
  • Mongolia
  • Montenegro
  • Morocco
  • Mozambique
  • Myanmar
  • Namibia
  • Nepal
  • Netherlands
  • New Zealand
  • Niger
  • Nigeria
  • North Macedonia
  • Norway
  • Pakistan
  • Panama
  • Paraguay
  • Peru
  • Philippines
  • Poland
  • Portugal
  • Puerto Rico
  • Romania
  • Rwanda
  • Saudi Arabia
  • Senegal
  • Serbia
  • Seychelles
  • Singapore
  • Slovakia
  • Slovenia
  • South Africa
  • Spain
  • Sri Lanka
  • Sweden
  • Switzerland
  • Taiwan
  • Tanzania
  • Thailand
  • Togo
  • Trinidad and Tobago
  • Tunisia
  • Turkey
  • Turkmenistan
  • Uganda
  • Ukraine
  • United Arab Emirates
  • United Kingdom
  • Uruguay
  • USA
  • Uzbekistan
  • Venezuela
  • Vietnam
  • Zambia
  • About Us
  • Our CEO
  • Our Supervisory Board
  • Our Global Executive Team
  • Quality, Process & Risk Management
  • Sustainability & Tax at WTS Global
  • Customs
  • Financial Services
  • Global Mobility
  • Indirect Tax
  • International Corporate Tax
  • Mergers & Acquisitions (M&A)
  • Private Clients & Family Office
  • Sustainability & Tax
  • Tax Certainty & Controversy
  • Tax Technology
  • Transfer Pricing & Valuation
  • Real Estate
  • Digital Tax Law
  • European Tax Law
  • Latest News
  • Brochures
  • Newsletters
  • Surveys & Studies
  • Pillar Two
  • FIT for CBAM
  • Tax Sustainability Index
  • ViDA - VAT in the Digital Age
  • EU WHT Reclaims
  • AI playground
  • Culture and Leadership
  • Diversity
  • WTS Global Academy
  • Career
  • Pillar Two Team
  • Pillar Two - Implementation Status Wordwide
  • Press
  • Events & Webinars
  • CI Guide
  • Contact
WTS worldwide
  • Albania
  • Algeria
  • Angola
  • Argentina
  • Armenia
  • Australia
  • Austria
  • Bangladesh
  • Belgium
  • Benin
  • Bolivia
  • Bosnia & Herzegovina
  • Botswana
  • Brazil
  • Bulgaria
  • Burkina Faso
  • Burundi
  • Cambodia
  • Cameroon
  • Canada
  • Cape Verde
  • Central African Republic
  • Chad
  • Chile
  • China
  • Colombia
  • Congo Brazzaville
  • Costa Rica
  • Croatia
  • Cyprus
  • Czech Republic
  • Democratic Republic of Congo
  • Denmark
  • Dominican Republic
  • Ecuador
  • Egypt
  • El Salvador
  • Equatorial Guinea
  • Estonia
  • Eswatini
  • Ethiopia
  • Finland
  • France
  • Gabon
  • Gambia
  • Georgia
  • Germany
  • Ghana
  • Gibraltar
  • Greece
  • Guatemala
  • Guinea
  • Guinea-Bissau
  • Honduras
  • Hong Kong
  • Hungary
  • Iceland
  • India
  • Indonesia
  • Iran
  • Iraq
  • Ireland
  • Israel
  • Italy
  • Ivory Coast
  • Japan
  • Kazakhstan
  • Kenya
  • Korea
  • Kyrgyzstan
  • Laos
  • Latvia
  • Liberia
  • Libya
  • Lithuania
  • Luxembourg
  • Macao
  • Madagascar
  • Malawi
  • Malaysia
  • Mali
  • Malta
  • Mauritania
  • Mauritius
  • Mexico
  • Moldova
  • Mongolia
  • Montenegro
  • Morocco
  • Mozambique
  • Myanmar
  • Namibia
  • Nepal
  • Netherlands
  • New Zealand
  • Niger
  • Nigeria
  • North Macedonia
  • Norway
  • Pakistan
  • Panama
  • Paraguay
  • Peru
  • Philippines
  • Poland
  • Portugal
  • Puerto Rico
  • Romania
  • Rwanda
  • São Tomé and Príncipe
  • Saudi Arabia
  • Senegal
  • Serbia
  • Sierra Leone
  • Singapore
  • Slovakia
  • Slovenia
  • Somalia
  • South Africa
  • South Sudan
  • Spain
  • Sri Lanka
  • Sudan
  • Sweden
  • Switzerland
  • Taiwan
  • Tanzania
  • Thailand
  • Togo
  • Trinidad and Tobago
  • Tunisia
  • Turkey
  • Turkmenistan
  • Uganda
  • Ukraine
  • United Arab Emirates
  • United Kingdom
  • Uruguay
  • USA
  • Uzbekistan
  • Venezuela
  • Vietnam
  • Zambia
  • Zimbabwe
  • About Us
    About Us

    Here you will find more information on our organization’s structure, experts and global reach.

    Read more
    About Us Our CEO Our Supervisory Board Our Global Executive Team Quality, Process & Risk Management
    Sustainability & Tax at WTS Global
  • Services
    Services

    Learn more about our network partners and their services.

    Read more
    Customs Financial Services Global Mobility Indirect Tax International Corporate Tax
    Mergers & Acquisitions (M&A) Private Clients & Family Office Sustainability & Tax Tax Certainty & Controversy Tax Technology
    Transfer Pricing & Valuation Real Estate Digital Tax Law European Tax Law
  • Experts
    Experts

    With a representation in over 100 countries, our team offers local expertise on a global scale. Learn more about our experts.

    Read more
  • News & Knowledge
    News & Knowledge

    Welcome to WTS Global Insights. Here you will find news and updates from our worldwide network.

    Read more Newsletter Subscription
    Latest News Brochures Newsletters Surveys & Studies
  • Hot Topics
    Hot Topics

    Overview of the current "Hot Topics" in the tax industry and how we can support with individual questions.

    Read more
    Pillar Two FIT for CBAM Tax Sustainability Index ViDA - VAT in the Digital Age EU WHT Reclaims
    AI playground
  • Culture & Career
    Culture & Career
    Read more
    Culture and Leadership Diversity WTS Global Academy Career
  • Locations
  • Search
24.06.2019

Saudi Arabia: Tax current developments and their impacts on permanent establishments (PEs)

Significant reporting implications expected for all taxpayers including multinational companies

Author
Husam H Sadagah
Founding Managing Partner
Saudi Arabia
View Profile
  • In order to keep pace with changes in the global tax frameworks and consolidate its position as an attractive foreign investment destination, the Kingdom of Saudi Arabia (KSA), a G20 member, introduced significant changes to its tax regime during 2018.
  • The Saudi Arabia tax regulator – the General Authority of Zakat and Tax (GAZT) – kicked off the year with the implementation of VAT and issued draft Transfer Pricing Bylaws on 10 December 2018 followed by the respective final version on 15 February 2019.
  • In addition to the aforementioned changes to the KSA tax system, GAZT also issued a new draft Zakat regulation on 10 January 2019 for public consultation; the final version is still pending at the time of the editorial deadline.
  • These recent changes in the Kingdom’s tax regime are having a profound impact on tax filing requirements and documentation for KSA permanent establishments (PE).

KSA income tax law: PE definition:

  • The KSA tax laws permit a non-resident entity to have a PE in KSA under certain circumstances. In such cases, the PE is effectively the place, in full or in part, at which the non-resident entity carries out its activities in KSA (e.g. a construction site), or the place of its KSA agent.
  • All PEs registered in KSA shall comply with Saudi tax laws, documentation and audit, including VAT, income tax, withholding tax (WHT) and TP filing requirements.

GAZT publishes draft TP bylaws:

  • GAZT took a big move forward upon enacting TP tax regulations for the first time in the KSA in February this year.
  • Underscoring the Kingdom’s policy to introduce laws and regulations that build on relevant international standards, GAZT implemented the Organization of Economic Cooperation and Development (OECD) BEPS recommendations regarding TP.
  • Moreover, the draft bylaws, as in the OECD guidelines, set forth requirements for three tiers of documentation (Master File, Local File, Country-by-Country Reporting) and an annual disclosure for controlled transactions.
  • The TP bylaws apply to all taxable persons pursuant to the law and implementing regulations. That, by default, would include PEs.
  • In line with the OECD Guidelines, the draft bylaws identified the following 5 methods for TP reporting purposes. Companies should select the most appropriate method for their context.
    • Comparable uncontrolled price method
    • Resale price method
    • Cost plus method
    • Transactional net margin method
    • Transactional profit split method

On 15 February 2019, the TP bylaws were issued in their final form including the two following major amendments, together with FAQs (in both English and Arabic) as additional guidance:

  • Setting deadlines for submission of TP documentation
  • A requirement for taxpayers to submit the Disclosure Form of the Controlled Transactions together with a mandatory affidavit from a licensed auditor, through which the auditor certifies that the transfer pricing policy of the MNE is consistently applied by and in relation to the taxpayer.

Key TP reporting requirements and deadlines:

 

Master File / Local File:

  • Should be submitted by corporate income tax (CIT) entities / CIT and Zakat-paying entities only if the annual value of such entities’ controlled transactions exceeds SAR 6m (USD 1.6m).
  • Might be requested at any time by the GAZT after 120 days from the corporation’s fiscal year-end.
  • Deadline to provide the report is within 30 days upon request for both files; an additional 60-day extension shall be granted only in 2019 upon request.

Country-by-Country Report (CbCR):

  • Should be submitted by CIT entities / CIT and Zakat-paying entities as well as Zakat-paying entities with consolidated group revenues exceeding SAR 3.2bn (USD 853m).
  • Should be filed not later than 12 months after the last day of the reporting year of the multinational entities (MNE) group.
  • CbCR notification should be submitted, as a part of the annual declaration by KSAbased constituent entities, to GAZT within 120 days following the end of the reporting year.

Disclosure form:

  • Should be submitted by CIT entities / CIT and Zakat-paying entities, only, including an affidavit from a KSA-licensed auditor to certify the consistent application of the TP policy.
  • Deadline to submit is within 120 days from the fiscal year-end.

Language of documentation

As per the TP FAQs question no. 6, GAZT encourages the submission and documentation in the official language of KSA (Arabic), to the extent that this is reasonably possible.

Penalties

The bylaws do not mention any provisions regarding penalties, although the FAQs explain that failure to comply with the TP guidance in KSA may lead to imposition of related penalties and fines applicable under the Income Tax Law.

Summary

KSA introduced significant changes to the country’s tax regime at the start of 2018, including VAT and the TP bylaws. The latter draws on many of the OECD TP reporting guidelines.

The new KSA tax developments will have significant reporting implications for all taxpayers including multinational companies, which will have to adopt significantly different reporting and filing requirements.

Author
Husam H Sadagah
Founding Managing Partner
Saudi Arabia
View Profile
Article published in TP Newsletter #1/2019
Transfer Pricing Newsletter: Update on the recent news and cases
View publication
Newsletter Transfer Pricing

With this newsletter, we inform multinational companies on country-specific and international legislative documents and regulations.

Subscribe now
Articles you might be interested in

Summary of the existing TP legislative framework

Transfer Pricing in the GCC
Read more

Eliminating economic double taxation may become easier in the future thanks to recent statutory and practice developments

Italy: Corresponding adjustments made easier
Read more

Effective as of 1 January 2019 a group taxation model for corporate income tax purposes has been introduced

Recent developments in Hungarian transfer pricing
Read more

Get in contact

If you have any questions about WTS Global or our global services, please get in touch.
We will respond to you as soon as possible.

Contact
About Us
  • About Us
  • Our CEO
  • Our Supervisory Board
  • Our Global Executive Team
  • Quality, Process & Risk Management
Services
  • Customs
  • Financial Services
  • Global Mobility
  • Indirect Tax
  • International Corporate Tax
  • Mergers & Acquisitions (M&A)
  • Private Clients & Family Office
  • Sustainability & Tax
  • Tax Certainty & Controversy
  • Tax Technology
  • Transfer Pricing & Valuation
Latest News
  • News & Knowledge
  • Brochures
  • Newsletters
  • Newsletter Subscription
  • Surveys & Studies
Hot Topics
  • Pillar Two
  • Digital Tax Law
  • European Tax Law
Culture & Career
Exclusive Cooperation With
© 2024 WTS Company Information Data Protection Disclaimer