ENGLISH

Making Dispute Resolution More Effective - MAP Peer Review Report, Brunei Darussalam (Stage 1)

Book information

Publisher
OECD Publishing
Year
2020
ISBN
9264444262, 9789264444263
Language
english
Format
PDF
Filesize
2 MB (1587059 bytes)
Pages
60\61
Time added
2020-05-05 11:00:49

Description

This report reflects the outcome of the stage 1 peer review of the implementation of the Action 14 Minimum Standard by India. Table of contents Foreword Abbreviations and acronyms Executive summary Introduction Notes Reference Part A. Preventing disputes [A.1] Include Article 25(3), first sentence, of the OECD Model Tax Convention in tax treaties [A.2] Provide roll-back of bilateral APAs in appropriate cases Note References Part B. Availability and access to MAP [B.1] Include Article 25(1) of the OECD Model Tax Convention in tax treaties [B.2] Allow submission of MAP requests to the competent authority of either treaty partner, or, alternatively, introduce a bilateral consultation or notification process [B.3] Provide access to MAP in transfer pricing cases [B.4] Provide access to MAP in relation to the application of anti-abuse provisions [B.5] Provide access to MAP in cases of audit settlements [B.6] Provide access to MAP if required information is submitted [B.7] Include Article 25(3), second sentence, of the OECD Model Tax Convention in tax treaties [B.8] Publish clear and comprehensive MAP guidance [B.9] Make MAP guidance available and easily accessible and publish MAP profile [B.10] Clarify in MAP guidance that audit settlements do not preclude access to MAP Notes References Part C. Resolution of MAP cases [C.1] Include Article 25(2), first sentence, of the OECD Model Tax Convention in tax treaties [C.2] Seek to resolve MAP cases within a 24-month average timeframe [C.3] Provide adequate resources to the MAP function [C.4] Ensure staff in charge of MAP has the authority to resolve cases in accordance with the applicable tax treaty [C.5] Use appropriate performance indicators for the MAP function [C.6] Provide transparency with respect to the position on MAP arbitration References Part D. Implementation of MAP agreements [D.1] Implement all MAP agreements [D.2] Implement all MAP agreements on a timely basis [D.3] Include Article 25(2), second sentence, of the OECD Model Tax Convention in tax treaties or alternative provisions in Article 9(1) and Article 7(2) References Summary Annex A. Tax treaty network of Brunei Darussalam Annex B. MAP statistics reporting for pre-2016 cases Annex C. MAP statistics reporting for post-2015 cases Glossary Blank Page

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