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In September 2020, the Turkish Government published The General Communiqué on Disguised Profit Distribution through Transfer Pricing (Series No:4) (the Communiqué) in the Official Gazette. The Communiqué provides detailed information regarding the transfer pricing documentation requirements (e.g., Country-by-Country Reporting) in accordance with Action 13 of the Base Erosion and Profit Shifting (BEPS) project, see EY Global Tax Alert, Turkey issues guidance on transfer pricing documentation requirements, dated 15 September 2020.Turkish subsidiaries of a Multinational Entity (MNE) group eligible for reporting must notify the Turkish Revenue Administration (TRA) electronically regarding the reporting entity of the MNE group and the jurisdiction where...