- Tightening the tax administration for transfer pricing activities
The National Assembly also introduced new regulations on tax declaration obligations, tightening the tax administration of transfer pricing activities, specifically, prohibited acts including collusion, connection, and connivance between taxpayers and tax officers, tax authorities for transfer pricing and tax evasion. The amended Tax Administration Law also clearly states that the Ministry of Planning and Investment is responsible for directing and guiding relevant authorities to enhance the valuation of investment projects to prevent transfer pricing and tax avoidance.
- Broadening the taxpayers’ rights
Besides remarkable points above, the Tax Administration Law also added some other contents to ensure taxpayers' rights as well as to support dealing with tax authorities more easily and conveniently:
+ To be notified the deadlines for settlement of tax refunds, non-refundable tax amounts and legal bases for non-refundable tax amounts.
+ To search, view and print all electronic documents that they have sent to the portal of tax administration authorities, described in this Law and the law on electronic transactions.
+ To use electronic documents in transactions with tax administration authorities and relevant authorities, organizations.
+ To be not imposed penalty for tax administration violation and to be waived of interest on late payment in the cases where the taxpayers follow the guidance and decisions of tax authorities and other competent authorities relating to the determination of taxpayers' liability (However, the current law does not specify what kind of tax guidance and decision which may fall under this provision of Law, the companies should stay updated with guiding documents issued later on for practical application)