The Zimbabwe Revenue Authority (ZIMRA) hereby informs its valued clients that Transfer Pricing Practise Notes that are to be used in conjunction with our Transfer Pricing legislation as outlined in Section 98B, as read with the 35th Schedule of the Income Tax Act (Chapter 23:06), are now available for reference.
Please note that: Jurisdictions that have been classified as beneficial tax jurisdictions by the Commissioner, have been uploaded on the ZIMRA website in line with section 98B (4)
In terms of Section 98B (6), the Transfer Pricing return, (ITF 12C2) is also available for declaration of details of the controlled transactions for each tax year as an attachment to the company tax return, ITF 12C
Statutory Instrument 109 of 2019, titled “Income Tax (Transfer Pricing Documentation) Regulations, 2019” is on the ZIMRA website for ease of reference.
ZIMRA urges its valued clients to comply with all requirements and avoid penalties and unnecessary costs.
My Taxes, My Duties: Building my Zimbabwe!!
Disclaimer: This article was compiled by the Zimbabwe Revenue Authority for information purposes only. ZIMRA shall not accept responsibility for loss or damage arising from use of material in this article and no liability will attach to the Zimbabwe Revenue Authority. –herald.cl.zw