OECD

Mutual Agreement Procedures (MAP): Key Guidelines

Mutual Agreement Procedures (MAP) are key mechanisms that ensure fair tax treatment in international transactions. They help resolve conflicts between tax authorities, avoiding double taxation and promoting business growth.

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The Second Session of the Ad Hoc Committee on the UN Tax Convention

The Second Session of the Ad Hoc Committee on the UN Tax Convention, held from July 29 to August 16, 2024, at the UN Headquarters in New York, was a significant milestone in the effort to establish a United Nations Framework Convention on International Tax Cooperation. The significance of this session lies in its role in advancing global tax reform, particularly by addressing issues such as the fair allocation of taxing rights, combating illicit financial flows, and ensuring that multinational corporations and wealthy individuals pay their fair share of taxes.

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The OECD’s Transfer Pricing Framework for Mineral Pricing

Transfer pricing in the mineral sector is a complex yet crucial aspect of international tax compliance. The OECD has developed a comprehensive framework to assist tax administrations and multinational enterprises (MNEs) in determining the correct pricing for minerals in related-party transactions.

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Italian Supreme Court Ruling on Transfer Pricing: Inclusion of Loss-Making Entities in Comparability Analyses

The Italian Supreme Court’s 2024 ruling mandates including loss-making entities in transfer pricing comparability analysis, aligning with OECD guidelines.

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X BV v Netherlands (Staatssecretaris van Financiën Case)

The X BV v Staatssecretaris van Financiën case revolves around a key issue in corporate tax: the denial of interest deductions for intra-group loans in cross-border transactions.

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Canada (Her Majesty the Queen) v. Cameco Corporation

The Federal Court of Appeal’s ruling in the case between Her Majesty The Queen and Cameco Corporation centers on the application of Canada’s transfer pricing rules, particularly under Section 247 of the Income Tax Act.

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Transfer Pricing Guidance on Financial Transactions

 INCLUSIVE FRAMEWORK ON BEPSBEPS stands for “Base Erosion and Profit Shifting”. BEPS refers to tax avoidance strategies used by multinational enterprises (MNEs) to exploit gaps and mismatches in the international tax system. By shifting profits from high-tax jurisdictions to low- or no-tax locations, MNEs reduce their overall tax burden, even if little to no economic activity

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OECD tax proposal gathers pace, but many unanswered questions

Published by Lexology Article by: Macfarlanes LLP – Rhiannon Kinghall Were Last week (9 December) the OECD held a public consultation on the proposal to introduce a Global Anti-Base Erosion (Globe) rule, a rule that would ensure all internationally operating businesses pay a minimum level of tax. The Globe rule offers a series of (potentially) interconnecting rules

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The OECD opens a public consultation for its proposals on digitalisation of the economy under Pillar Two (rules for tackling the erosion of tax bases and the transfer of profits)

Published by Lexology Article by: Osborne Clarke – Daniel Rioperez and Ana Malagon On November 8, 2019, the OECDThe Organisation for Economic Co-operation and Development (OECD) is an international organisation comprising 38 member countries, established to foster economic growth, trade, and development on a global scale. Founded in 1961, the OECD provides a forum for governments to collaborate, share

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OECD: The Global Revenue Statistics Database

The Global Revenue Statistics Database provides the largest public source of harmonised tax revenue data, verified by countries and regional partners. Spanning more than 95 countries in all corners of the world, it provides a rich and accessible resource for policymakers and researchers, based on the internationally-recognised methodology set out in the OECDThe Organisation for

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