Below is a summary of TP documentation regulations in countries where Mitsui Chemical primarily operates its business
China
Taxpayers are expected to maintain contemporaneous transfer pricing documentation on or before 31 May of the following calendar year and that all documentation should be submitted to tax authorities within 20 days of a request
Taxpayers can be exempted from the preparation, maintenance, and provision of contemporaneous documentation if either of the below applies
RMB 200m or fewer annual related party buy / sell transactions
RMB 40m or fewer annual related party intangibles, services, and interest from financing transactions
transactions covered by an advance pricing arrangement
transactions with can entity with 50% or less share of foreign ownership and that only conducts related party transactions within China
The statute of limitations for transfer pricing adjustments is 10 years
Transfer pricing penalties: 1) special adjustments resulting in under-reported tax (5% interest), 2) refusal to provide contemporaneous documentation, or 3) file false / incomplete related party reporting forms