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Turkey's Revenue Administration has announced the publication of Presidential Decision No. 8956 on 14 September 2024, which amends the deadline for the submission of Country-by-Country (CbC) notifications. Under the original rules, a CbC notification is required to be filed electronically by the end of June of the year following the reporting year, including information on the ultimate parent entity and reporting entity for the group. This has now been changed to within 6 months following the end of the reporting fiscal year. The deadline for submitting CbC reports is unchanged, which is within 12 months following the end of the...