Country by Country (CbC)-notification: The submittal deadline is approaching

Is your company part of a multi-national group? And does that group have a consolidated group turnover of more than €750 million? In that case you must report the profits, taxes paid, and the activities of the companies, per country, to the Tax and Customs Administration. This must be done by submitting a Country by Country-report. A notification obligation (CbC-notification) applies if the CbC-report is drawn up by a company that is not established in The Netherlands. You can read more about the CbC-notification and about submitting it in this article.
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Why submit a CbC-notification?

If the CbC-report is not being submitted by a Dutch entity of a multi-national group, a notification obligation to the Tax and Customs Administration applies. As to which entity is submitting the CbC-report and in which country that entity has its registered office must be stated in the notification. The CbC-notification is always submitted electronically via the Tax and Customs Administration portal.

Submittal deadline for the CbC-notification

Regarding entities in The Netherlands, the notification must be submitted on the last day of the fiscal year, at the latest. Therefore, on 31 December 2022, at the latest.

Avoid hefty fines

If the CbC-notification is not submitted (on time), hefty fines can be imposed. Not adhering to these CbC-requirements can lead to sanctions, including fines, and even imprisonment.

Need help with the submittal?

We can assist you with drawing up and submitting the CbC-report or the CbC-notification. Please do not hesitate to contact one of our advisors.

For further advice, please contact us.

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