copy the linklink copied!Montserrat

1. This report is Montserrat’s first annual peer review report. Consistent with the agreed methodology this report covers: (i) the domestic legal and administrative framework, (ii) the exchange of information framework as well as (iii) the appropriate use of CbC reports. There is no filing obligation for a CbC report in Montserrat yet.

copy the linklink copied!Summary of key findings

2. Montserrat does not yet have legislation in place for implementing the BEPS Action 13 minimum standard. It is recommended that Montserrat take steps to implement a domestic legal and administrative framework to impose and enforce CbC reporting requirements as soon as possible.

3. It is recommended that Montserrat take steps to have QCAAs in effect with jurisdictions of the Inclusive Framework which meet the confidentiality, consistency and appropriate use prerequisites and with which Montserrat has an international exchange of information agreement in effect that allows for the automatic exchange of tax information.

4. It is recommended that Montserrat take steps to implement processes or written procedures to ensure that the exchange of information is conducted in a manner consistent with the terms of reference (OECD, 2017[2]) relating to the exchange of information framework ahead of the first exchanges of information.

5. It is recommended that Montserrat take steps to ensure that the appropriate use condition is met ahead of the first exchanges of information.

6. It is however noted that Montserrat will not be exchanging CbC reports in 2019.

copy the linklink copied!Part A: The domestic legal and administrative framework

7. Montserrat does not yet have legislation in place for implementing the BEPS Action 13 minimum standard.

(a) Parent entity filing obligation

(b) Scope and timing of parent entity filing

(c) Limitation on local filing obligation

(d) Limitation on local filing in case of surrogate filing

(e) Effective implementation

8. Montserrat does not yet have its legal and administrative framework in place to implement CbC Reporting and thus does not implement CbC Reporting requirements for the 2018 fiscal year.

9. It is recommended that Montserrat take steps to implement a domestic legal and administrative framework to impose and enforce CbC reporting requirements as soon as possible.

Conclusion

10. In respect of paragraph 8 of the terms of reference, Montserrat does not yet have a complete domestic legal and administrative framework to impose and enforce CbC requirements on the Ultimate Parent Entity of an MNE Group that is resident for tax purposes in Montserrat. It is recommended that Montserrat take steps to implement a domestic legal and administrative framework to impose and enforce CbC reporting requirements as soon as possible.

copy the linklink copied!Part B: The exchange of information framework

(a) Exchange of information framework

11. As of 31 May 2019, Montserrat has no bilateral relationships in place for the exchange of CbC reports. It is recommended that Montserrat take steps to have qualifying competent authority agreements in effect with jurisdictions of the Inclusive Framework that meet the confidentiality, consistency and appropriate use conditions and with which Montserrat has an international exchange of information agreement in effect that allows for the automatic exchange of tax information. It is however noted that Montserrat will not be exchanging CbC reports in 2019.

(b) Content of information exchanged

12. Montserrat does not have processes or written procedures in place that are intended to ensure that each of the mandatory fields of information required in the CbC reporting template are present in the information exchanged.

(c) Completeness of exchanges

13. Montserrat does not have processes or written procedures in place that are intended to ensure that CbC reports are exchanged with all tax jurisdictions listed in Table 1 of a CbC report with which it should exchange information as per the relevant QCAA.

(d) Timeliness of exchanges

14. Montserrat does not have processes or written procedures in place that are intended to ensure that the information to be exchanged is transmitted to the relevant jurisdictions in accordance with the timelines provided for in the relevant QCAAs.

(e) Temporary suspension of exchange or termination of QCAA

15. Montserrat does not have processes or written procedures in place that are intended to ensure that a temporary suspension of the exchange of information or termination of a relevant QCAA would be carried out only as per the conditions set out in the relevant QCAA.

(f) Consultation with other Competent Authority before determining systemic failure or significant non-compliance

16. Montserrat does not have processes or written procedures in place that are intended to ensure that its Competent Authority consults with the other Competent Authority before making a determination of systemic failure or significant non-compliance with the terms of the relevant QCAA by that other Competent Authority.

(g) Format for information exchange

17. Montserrat has not confirmed the format that will be used for the international exchange of CbC reports.

(h) Method for transmission

18. Montserrat has not confirmed that an appropriate encryption method and method for electronic data transmission are in place.

Conclusion

19. It is recommended that Montserrat take steps to have qualifying competent authority agreements in effect with jurisdictions of the Inclusive Framework that meet the confidentiality, consistency and appropriate use conditions and with which Montserrat has an international exchange of information agreement in effect that allows for the automatic exchange of tax information.

20. Further, it is recommended that Montserrat take steps to implement processes or written procedures to ensure that the exchange of information is conducted in a manner consistent with the terms of reference relating to the exchange of information framework ahead of its first exchanges of information. It is however noted that Montserrat will not be exchanging CbC reports in 2019.

copy the linklink copied!Part C: Appropriate use

21. Montserrat does not yet have measures in place relating to appropriate use. It is recommended that Montserrat to take steps to have measures in place relating to appropriate use ahead of the first exchanges of information remains in place.

Conclusion

22. It is recommended that Montserrat take steps to ensure that the appropriate use condition is met ahead of its first exchanges of information. It is however noted that Montserrat will not be exchanging CbC reports in 2019.

copy the linklink copied!Summary of recommendations on the implementation of Country-by-Country Reporting

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Aspect of the implementation that should be improved

Recommendation for improvement

Part A

Domestic legal and administrative framework

It is recommended that Montserrat take steps to implement a domestic legal and administrative framework to impose and enforce CbC requirements as soon as possible.

Part B

Exchange of information framework

It is recommended that Montserrat take steps to have QCAAs in effect with jurisdictions of the Inclusive Framework which meet the confidentiality, consistency and appropriate use prerequisites and with which Montserrat has an international exchange of information agreement in effect that allows for the automatic exchange of tax information.

Part B

Exchange of information framework

It is recommended that Montserrat take steps to implement the necessary processes or written procedures to ensure that the exchange of information is conducted in a manner consistent with the terms of reference relating to the exchange of information framework.

Part C

Appropriate use

It is recommended that Montserrat take steps to ensure that the appropriate use condition is met ahead of the first exchanges of information.

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