ÀÏ˾»úÎçÒ¹¸£Àû

Home / Simons-Taxes /Business tax /Part B4 Transfer pricing and profit fragmentation /Division B4.1 Transfer pricing /Transfer pricing administration and dispute resolution / B4.181 Advance pricing agreements—OECD guidelines
Commentary

B4.181 Advance pricing agreements—OECD guidelines

Business tax

The flow of goods across national borders and the subsequent transfer pricing issues that arise necessarily involve more than one tax authority. As such, disputes often arise between the taxpayer and the tax authority (or two or more tax authorities). This section provides a discussion of some of the methods available to all parties to resolve such conflicts including advance pricing agreements (APAs) (below and B4.182), mutual agreement procedures B4.183 and the EU Arbitration Convention B4.184.

The OECD definition of an APA is as follows:

'An advance pricing agreement (APA) is an arrangement that determines, in advance of controlled transactions, an appropriate set of criteria

To continue reading
View the latest version of this document, as well as thousands of others like it, sign in to Tolley+™ Research or register for a free trial

Web page updated on 17 Mar 2025 17:34