Foreign residents will not have permanent establishment for their legal and
economic relationship with Maquiladoras if they are residents of a country
which has in place a Tax Treaty with Mexico and if the Maquiladora complies
with any of the following options:
-
Option 1. To maintain contemporaneous documentation on
transfer pricing adding to the result of such analysis a 1% on the net book
value of the fixed assets owned by the foreign related company that are used by
the Maquiladora in its activities.
-
Option 2. To report a taxable income profit of at least the
greater of the following values:
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6.9% on assets used in the Maquiladora activity (including inventories and
fixed assets owned by the foreign related party); or
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6.5% on operating costs and expenses of the Maquiladora.
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Option 3. To maintain contemporaneous documentation on
transfer pricing considering a return on the net book value of fixed assets
owned by the foreign related company that is used by the Maquiladora in its
activities.
Maquiladoras that elect options 1 or 3 may request an advanced pricing agreement
(APA) to the Mexican tax authorities. However this APA will not be a
requirement for the compliance with any of the mentioned options, as occurred
in the past.
It is mandatory for the Maquiladora to comply with the transfer pricing rules.