Advance pricing arrangements optimal tool optimal framework? Piergiorgio Valente
By: Valente, Piergiorgio
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Item type | Current location | Home library | Call number | Status | Date due | Barcode |
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Artículos | IEF | IEF | OP 2141/2020/1-5 (Browse shelf) | Available | OP 2141/2020/1-5 |
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OP 2141/2020/12-7 International trade, a never-ending trend | OP 2141/2020/1-3 The hybrid financial instruments | OP 2141/2020/1-4 The troubled story of the Hungarian advertisement tax | OP 2141/2020/1-5 Advance pricing arrangements | OP 2141/2020/1-6 Challenges of applying the comparability analysis in curtailing transfer pricing | OP 2141/2020/1-7 UN MTC Article 8 | OP 2141/2020/3 Intertax |
Resumen.
Advance Pricing Agreements (APAs) are a diffused tool for taxpayers to obtain certainty in relation to the tax impact of their cross-border activities through an agreement with a tax administration in advance of such activities. APAs can be unilateral, bilateral, or multilateral depending on the number of national tax administrations involved, the latter two promising that the agreement made shall not be questioned in the other affected tax jurisdiction. Departing from the enhanced mutual agreement procedure (MAP) framework recently established among Member States through the Tax Dispute Resolution Directive, a future EU legislative initiative could outline a robust framework for MAP APAs in the Single Market.
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