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October 1, 2024 Peru amends Income Tax Law for implementing securities valuation methods in transactions between related parties
The Peruvian Government has enacted Legislative Decree 1663, amending the Income Tax Law with regard to valuation methods that apply to transfers of securities between related parties. Background Peruvian legislation establishes a set of rules governing the fair market value (FMV) of securities transferred in a non-related-parties scenario. According to this set of rules, the FMV would be the higher of the transaction value or the value determined according to any of the following methods:
For transactions entered into between related parties, the FMV would have to be assessed according to transfer pricing provisions; however, there has been no specific set of rules governing this specific type of transaction. Legislative Decree 1663 On 24 September 2024, the Executive enacted Legislative Decree 1663, amending the Income Tax Law to incorporate a set of rules governing the FMV of non-listed securities transferred in a related-parties scenario. The methods to be used, if applicable to the specific case, are the following:
The Discounted Cash Flow Method will not be applicable if one of the following requirements is met:
How FMV has been determined through the application of any of these methods must be supported in a technical report, containing information that will be established in yet-to-be enacted regulations and submitted to the Peruvian Tax Authority when expressly requested during a tax audit. Legislative Decree 1663 will enter into effect on 1 January 2025.
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