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Statement No 10 – February 2024

Statement No 10 – February 2024

2023 Annual Statement for Nonprofit and Charitable Organizations Declaration

It is reminded that nonprofit organizations, as well as corporate entities or trusts authorized to receive tax-deductible donations, must submit by no later than February 15 of each year, using the applicable official form, an annual declaration informing tax authorities of the income received and expenses incurred, as well as determining the distributable surplus and the proportion of this concept corresponding to each of its members.

 

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Statement No 9 – February 2024

Statement No 9 – February 2024

Frequently Asked Questions - 2023 Annual Statement for Corporate Entities

The Tax Administration System (SAT) has released the “2023 Annual Statement FAQ for Corporate Entities” on its dedicated mini-site. This resource addresses common questions related to filling out the annual statement for corporate entities operating under the General Law Regime, as well as those under the Simplified Trust Regime (RESICO).

We provide the link where this publication can be accessed:

http://omawww.sat.gob.mx/DAPM2023/Paginas/material_adicional.html

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Tax News No 15 – February 2024

Tax News No 15 – February 2024

Administrative Facilities Primary and Transportation Sectors

On February 23rd, the Official Gazette of the Federation published the Resolution of administrative facilities for taxpayers in the primary and freight and passenger transportation sectors. The purpose of this resolution is to simplify their tax obligations. Among the highlighted facilities are the deduction of minor expenses subject to simplified verification, the option to make semi-annual provisional payments, and the choice to withhold 5% or 7.5% for income tax purposes for taxpayers in the primary or land freight and passenger transportation sectors.

We provide you with the link where this publication can be consulted: [link]

https://www.dof.gob.mx/nota_detalle.php?codigo=5717832&fecha=23/02/2024#gsc.tab=0

 

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February 2024

Mexico City, Mexico

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Tax News No 14 – February 2024

Tax News No 14 – February 2024

Global Definitive List Article 69B - CFF

On February 23rd, the Official Gazette of the Federation published Offices No. 500-05-2024-6473 and 500-05-2024-6535, through which the definitive global lists of taxpayers falling under the provisions of the fourth paragraph of Article 69-B of the Federal Fiscal Code are communicated. This includes those taxpayers who did not refute the facts attributed to them by tax authorities in the exercise of their powers and faculties, and therefore, it is considered that they issued tax receipts without having the assets, personnel, infrastructure, or material capacity to provide the services or produce, market, or deliver the goods covered by such receipts.

We provide you with the links where these publications can be consulted:

https://www.dof.gob.mx/nota_detalle.php?codigo=5717948&fecha=23/02/2024#gsc.tab=0

https://www.dof.gob.mx/nota_detalle.php?codigo=5717950&fecha=23/02/2024#gsc.tab=0

 

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Febrero de 2024

Ciudad de México, México

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Tax News No 13 – February 2024

Tax News No 13 – February 2024

Global Presumption List Article 69-B CFF

On February 23rd, the Official Gazette of the Federation published Office No. 500-05-2024-6487, through which the global presumption list of taxpayers falling under the provisions of the first paragraph of Article 69-B of the Federal Fiscal Code is communicated. This includes those taxpayers detected by tax authorities through the exercise of their powers and faculties, issuing tax receipts without having the assets, personnel, infrastructure, or material capacity, directly or indirectly, to provide the services or produce, market, or deliver the goods covered by such receipts. Therefore, the transactions covered by these receipts are presumed nonexistent.

We provide you with the link where this publication can be consulted:

https://www.dof.gob.mx/nota_detalle.php?codigo=5717949&fecha=23/02/2024#gsc.tab=0

 

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Febrero de 2024

Mexico City, Mexico

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Tax News No 13 – February 2024 Read More »

Tax News No 12 – February 2024

Tax News No 12 – February 2024

Global Presumption List Article 69-B CFF

On February 6th, Official Letter No. 500-05-2023-26214 was published in the Official Gazette of the Federation, through which the global presumption list of taxpayers falling under the circumstances outlined in the first paragraph of Article 69-B of the Federal Fiscal Code was communicated. These taxpayers are those who were detected by the tax authorities through the exercise of their powers and faculties, issuing tax receipts without possessing the assets, personnel, infrastructure, or material capacity to provide the services or produce, market, or deliver the goods covered by such receipts.

We provide you with the link where this publication can be consulted:

https://www.dof.gob.mx/nota_detalle.php?codigo=5716028&fecha=06/02/2024#gsc.tab=0

 

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February de 2024

Mexico City, Mexico

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Tax News No 11 – February 2024

Tax News No 11 – February 2024

Appendix 16-A of the Tax Miscellaneous Resolution

On February 2nd, the Official Gazette of the Federation published Annex 16-A of the Tax Miscellaneous Resolution for 2024, through which the integration and characteristics instructions, guide formats for the submission of the financial statements opinion for tax purposes issued by a registered public accountant, as well as the questionnaires related to the review carried out by the public accountant for the fiscal year 2023 using the Presentation System of the 2023 Opinion (SIPRED2023) Type II, are disclosed. This system will be in effect until December 31st of said year and may be subject to modifications throughout the same fiscal year.

We provide you with the link where this publication can be consulted:

https://www.dof.gob.mx/nota_detalle.php?codigo=5715914&fecha=02/02/2024#gsc.tab=0

 

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February de 2024

Mexico City, Mexico

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Tax News No 10 – February 2024

Tax News No 10 – February 2024

Definitive Global List Article 69-B CFF

On February 1st, the Official Gazette of the Federation published Official Letter No. 500-05-2023-26173, through which the definitive global list of taxpayers falling under the circumstances outlined in the fourth paragraph of Article 69-B of the Federal Fiscal Code was communicated. These taxpayers are those who did not refute the allegations made by the authorities in the exercise of their duties and powers. Therefore, it is considered that they issued tax receipts without having the assets, personnel, infrastructure, or material capacity to provide the services or produce, market, or deliver the goods covered by such receipts.

We provide you with the link where this publication can be consulted:

https://dof.gob.mx/nota_detalle.php?codigo=5715771&fecha=01/02/2024#gsc.tab=0

 

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February 2024

Mexico City, Mexico

 

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Statement No 8 – February 2024

Statement No 8 – February 2024

Annual Declaration of Workplace Accident Insurance Premium

It is reminded that from February 1st to February 29th, employers must fulfill the obligation to report workplace accidents that occurred in 2023, through the ‘Determination of the Premium in Workplace Accident Insurance derived from the Annual Review of Occupational Hazards’ (Annual Declaration). This will impact the determination and payment of contributions to workplace accident insurance from March 1st, 2024, to the last day of February 2025.

To do this, employers must consider, among other things, all workplace accidents and occupational diseases that occurred in 2023, which have the nature of terminated workplace risks. These include those concluded by the medical discharge notice to return to work (ST-2 Notice), by the determination of a partial or total permanent disability (ST-3 Assessment), or by the death of an employee while performing their duties (ST-3 Assessment)

 

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February 2024

Mexico City, Mexico

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Statement No 8 – February 2024 Read More »

Statement No 7 – February 2024

Statement No 7 – February 2024

Transactions with Related Parties

It is reminded that as of January 1st, 2022, legal entities and individuals engaging in transactions with related parties are obligated to have documentation demonstrating that their taxable income and authorized deductions were determined, considering for such transactions the prices, consideration amounts, or profit margins they would have used or obtained with or between independent parties in comparable transactions.

For these purposes, it is worth remembering that two or more persons are considered related parties when one participates directly or indirectly in the administration, control, or capital of the other, or when one person or group of persons participates directly or indirectly in the administration, control, or capital of such persons.

Likewise, it is reminded that individuals engaging in transactions, in the immediate preceding calendar year, with related parties that are national or foreign legal entities, individuals, and permanent establishments in the country of non-resident individuals, must submit, no later than May 15th of the immediate subsequent year to the end of the relevant tax year, the information requested through the Multiple Information Return.

Similarly, it is reminded that taxpayers who are related parties of legal entities obligated to have their financial statements audited for tax purposes shall be obliged to include as part of the declaration of the relevant tax year the information concerning their tax situation.

At FRALLA, we have specialized personnel to carry out the analysis of transactions entered into between related parties and for which there may be an obligation to comply with the aforementioned obligations and others in this matter.

 

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February 2024

Mexico City, Mexico

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