LexGo

DAC 6 reporting obligations starting as from 1 October 2020
12/05/2020

On 8 May 2020, as a result of the COVID-19 pandemic, the EU Commission proposed a three-month postponement of the starting date for the filing and exchange of information on reportable cross-border arrangements as provided under Council Directive (EU) 2018/822 of 25 May 2018 amending Directive 2011/16/EU as regards mandatory automatic exchange of information in the field of taxation (“DAC 6”).

Under the proposal, the reporting process in Luxembourg (and other EU Member States) would begin as from 1 October 2020 (as opposed to 1 July 2020, the original start date). However, the date from which DAC 6 applies will remain 1 July 2020. In particular, this means that reportable arrangements made during the postponement period will still have to be reported within 30 days (see below).

As from 1 October 2020:

  • Affected intermediaries (not subject to legal professional privilege) and taxpayers will have to file information on reportable cross-border arrangements with the Luxembourg tax authorities within 30 days from the first to occur of the following: (i) the day after the reportable arrangement is made available for implementation; (ii) the day after the reportable arrangement is ready for implementation; or (iii) the day when the first step in the implementation of the reportable arrangement has been made (“Triggering Events”). Intermediaries that qualify as secondary intermediaries (or service providers) will be required to file information within 30 days from the day after they provided, directly or by means of other persons aid, assistance or advice.
  • Information on reportable cross-border arrangements with a Triggering Event occurring between 1 July 2020 and 30 September 2020 will have to be reported within 30 days.
  • Information on reportable cross-border arrangements whose first step was implemented between 25 June 2018 and 30 June 2020 will have to be reported before 30 November 2020.

Intermediaries must make the first periodic report of marketable arrangements by 31 January 2021.

The Commission proposal does not contain any provisions on the notification obligations of intermediaries covered by legal professional privilege, since those measures are optional under DAC 6 and the related detailed provisions have been left to the discretion of individual Member States. Under the Luxembourg law of 25 March 2020 implementing the DAC 6 provisions into domestic law (“DAC 6 Law”), within 10 days of a Triggering Event occurring as from 1 July 2020, such intermediaries must notify any other intermediary not covered by legal professional privilege of their reporting obligations – or they must notify the relevant taxpayers, as the case may be. It is to be expected that these domestic provisions will also be modified to include the 1 October 2020 start date for notification obligations.

Furthermore, under the EU Commission proposal, tax authorities would now have to exchange their first information on reportable cross-border arrangements by 31 January 2021. Under the current text, the automatic exchange of information between tax authorities of all EU Member States must take place within one month of the end of the quarter in which the information was filed, with the first information to be communicated by 31 October 2020.

Finally, depending on the evolution of the COVID-19 pandemic, the EU Commission has proposed an option to extend the deferral period for filing and exchanging information for up to three additional months.

The EU Commission’s proposal is a response to acute concern on the part of governments of the European Union and professional associations, which have highlighted a number of challenges, the COVID-19 pandemic among them. Concerns raised include the late enactment of domestic legislation by many Member States and a lack of detailed guidance and reporting schema details, as well as differing interpretations of key notions between Member States. These concerns have been exacerbated by the pandemic (especially due to a smaller available workforce and changes in how IT resources must be used), which has affected the operations of intermediaries and taxpayers and their ability to prepare for the start of reporting obligations.

This is a welcome proposal that will give intermediaries and taxpayers precious time to further determine their precise reporting obligations under the law, which may still be uncertain in some instances – in particular given the lack of detailed guidance provided by the authorities to date. It will also give them more time to implement or finalise the rollout of internal reporting processes.

The proposal will now have to be adopted by the Council of the EU and subsequently implemented into the national laws of the EU Member States.

 

 

 

1 For more details on the Luxembourg law implementing DAC 6 provisions, please refer to our newsflash DAC 6 Law introducing mandatory disclosure rules in Luxembourg passed.

Voir aussi : Arendt ( Mr. Eric Fort ,  Mr. Alain Goebel ,  Mr. Thierry Lesage ,  Mr. Vincent Mahler )

[+ http://www.arendt.com]

Mr. Eric Fort Mr. Eric Fort
Partner
eric.fort@arendt.com
Mr. Alain Goebel Mr. Alain Goebel
Partner
alain.goebel@arendt.com
Mr. Thierry Lesage Mr. Thierry Lesage
Partner
thierry.lesage@arendt.com
Mr. Vincent Mahler Mr. Vincent Mahler
Partner
vincent.mahler@arendt.com

Click here to see the ad(s)
Tous les articles Fiscalité directe des entreprises

Derniers articles Fiscalité directe des entreprises

New mandatory automatic exchange of information rules for Digital Platforms “DAC7”
24/07/2020

On 15 July 2020, the EU Commission published a directive proposal (the “DAC7 Proposal”), amending, for the 6th...

Read more

Law on deferral of DAC 6, CRS and FATCA deadlines voted!
23/07/2020

On 22 July 2020, the Luxembourg Parliament approved Bill No. 7625 (the “Law”) implementing Council Directive (...

Law on deferral of DAC 6, CRS and FATCA deadlines voted! Read more

DAC 6 / CRS / FATCA: Luxembourg bill of law issued to postpone reporting obligations and deadlines
08/07/2020

On 6 July 2020, the Luxembourg government issued bill of law N°7625 implementing into domestic law Council Direct...

Read more

COVID-19: Luxembourg extends DAC6, CRS and FATCA reporting deadlines
07/07/2020

Yesterday, the draft law implementing the optional deadline extensions of EU Directive of 24 June 2020 (the “Directi...

Read more

Derniers articles de Mr. Eric Fort

DAC 6 / CRS / FATCA: Luxembourg bill of law issued to postpone reporting obligations and deadlines
08/07/2020

On 6 July 2020, the Luxembourg government issued bill of law N°7625 implementing into domestic law Council Direct...

Read more

Parent-Subsidiary Directive not applicable to Gibraltar companies
15/04/2020

On 2 April 2020, the European Court of Justice ("ECJ") (Case-458-18) ruled that a company incorpored i...

Read more

New Luxembourg bill on payments to EU ‘black-list’ countries
06/04/2020

On 30 March 2020, the Luxembourg government filed Bill of law No 7547 implementing certain guidelines approved by the...

Read more

DAC 6 Law introducing mandatory disclosure rules in Luxembourg passed
25/03/2020

On Saturday 21 March 2020, the Luxembourg Parliament passed a law implementing Council Directive (EU) 2018/822 of 25 May 2...

Read more

Derniers articles de Mr. Alain Goebel

DAC 6 / CRS / FATCA: Luxembourg bill of law issued to postpone reporting obligations and deadlines
08/07/2020

On 6 July 2020, the Luxembourg government issued bill of law N°7625 implementing into domestic law Council Direct...

Read more

Parent-Subsidiary Directive not applicable to Gibraltar companies
15/04/2020

On 2 April 2020, the European Court of Justice ("ECJ") (Case-458-18) ruled that a company incorpored i...

Read more

New Luxembourg bill on payments to EU ‘black-list’ countries
06/04/2020

On 30 March 2020, the Luxembourg government filed Bill of law No 7547 implementing certain guidelines approved by the...

Read more

DAC 6 Law introducing mandatory disclosure rules in Luxembourg passed
25/03/2020

On Saturday 21 March 2020, the Luxembourg Parliament passed a law implementing Council Directive (EU) 2018/822 of 25 May 2...

Read more

Derniers articles de Mr. Thierry Lesage

DAC 6 / CRS / FATCA: Luxembourg bill of law issued to postpone reporting obligations and deadlines
08/07/2020

On 6 July 2020, the Luxembourg government issued bill of law N°7625 implementing into domestic law Council Direct...

Read more

FATCA & CRS Reporting In Luxembourg: New Draft Bill Submitted To The Parliament
12/06/2020

The proposed measures of the Draft Bill aim at bringing Luxembourg law into line with the evaluation of the Global Forum o...

Read more

New Luxembourg bill on payments to EU ‘black-list’ countries
06/04/2020

On 30 March 2020, the Luxembourg government filed Bill of law No 7547 implementing certain guidelines approved by the...

Read more

DAC 6 Law introducing mandatory disclosure rules in Luxembourg passed
25/03/2020

On Saturday 21 March 2020, the Luxembourg Parliament passed a law implementing Council Directive (EU) 2018/822 of 25 May 2...

Read more

Derniers articles de Mr. Vincent Mahler

DAC 6 / CRS / FATCA: Luxembourg bill of law issued to postpone reporting obligations and deadlines
08/07/2020

On 6 July 2020, the Luxembourg government issued bill of law N°7625 implementing into domestic law Council Direct...

Read more

New Luxembourg bill on payments to EU ‘black-list’ countries
06/04/2020

On 30 March 2020, the Luxembourg government filed Bill of law No 7547 implementing certain guidelines approved by the...

Read more

EU ECOFIN: revision of the EU list of non-cooperative jurisdictions for tax purposes
19/02/2020

The Economic and Financial Affairs Council (ECOFIN) today adopted revised conclusions on the EU list of non-cooperative ju...

Read more

Luxembourg 2020 budget law introducing new tax measures and law implementing ATAD II passed
19/12/2019

Today, the budget law for 2020 and the law implementing into domestic law Council Directive (EU) 2017/952 of 29 May 2017 (...

Read more

LexGO Network