We use cookies on this site to provide you with an informative and engaging experience and also to help us to continually improve our site for you. Without allowing cookies certain features of the site will not be available. To learn more about how we use cookies, please view our cookie policy. By clicking on ‘I AGREE’, you consent to our use of cookies on this device in accordance with our policy.

Logo of Wolters Kluwer, Kluwer Law Online

Home > All journals > Intertax > 48(1) >

Advance Pricing Arrangements: Optimal Tool – Optimal Framework?

Cover image ofIntertax

$25.00 - Rental (PDF) *

$49.00 - Article (PDF) *

*service fee may apply
Advance Pricing Arrangements: Optimal Tool – Optimal Framework?


Intertax
Volume 48, Issue 1 (2020) pp. 67 – 73

https://doi.org/10.54648/taxi2020005



Abstract

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.


Keywords

Advance Pricing Arrangements, Dispute resolution, MAP – Mutual agreement procedures, Administrative Cooperation, BEPS, Transparency, Fiscal Stateaid, Transfer Pricing


Extract




Subscribe to this journal

Interested in a subscription? Contact our sales team

Contribute to this journal

Go Directly to PeerEase! Submit Article

Browse by practice area
Share
Stay up to date


RSSETOC