The Federal Inland Revenue Service (FIRS) has issued a Public Notice to withdraw its May 6, 2021 suspension (please refer to our Tax Alert Issue No.5.4 of 24 May 2021 for details) of the local filing obligations of Nigerian resident branches and subsidiaries (constituent entities) of foreign Multinational Enterprises (MNEs) under Regulation 4 of the Income Tax (Country-by-Country (CbC) Reporting) Regulations, 2018 (“the Regulations”).
Regulation 4 requires constituent entities of MNEs operating in Nigeria to submit a CbC report to the FIRS, where no Automatic Exchange of Information exists between Nigeria and the Ultimate Parent Entity (UPE)’s country of residence. Therefore, constituent entities affected by the conditions stipulated in Regulation 4 are expected to comply with the local filing obligation effective from 1 January 2022.