1. The specific TP penalty regime is only applicable to the taxpayers subject to mandatory TP documentation requirements 2. Under this specific TP penalty regime, penalty protection is only granted when the following three conditions are met:
- The taxpayer has complied with the TP documentation requirements;
- The transaction value reflected in the tax return is within the arm’s length range derived from the TP documentation;
- That, although the reported value is within the arm’s length range reflected in the taxpayer’s documentation, the Tax Authorities have disagreed with the transfer pricing analysis and reassessed the transfer prices.
3. Taxpayers exempt from the TP documentation requirements are out of the scope of the specific TP penalty regime:;
- Those taxpayers (transactions?) exempt of TP documentation requirements due to the quantitative exclusion (total transactions with each related party within the tax year does not exceed the threshold of 250,000 euros) are also excluded from specific TP penalty regime;
- However, since the specific TP regime is not aplicable, the taxpayers exempt of TP documentation requirements cannot Benefit from the penalty-protection clause;
- Furthermore, related-party transactions exempt from TP documentation requirements may give rise tax penalties regulated in the Spanish General Taxation Law, including the following (among others):
a.) Tax penalty for unpaid taxes derived from the TP adjustments in transactions exempt from TP documentation, or
b.) Tax penalty for reporting unsuitable tax credits when the TP adjustment reduces the taxpayer’s NOL’s.
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