Should Taxpayers Have Access to the International Tax Arbitration Procedure?

被引:0
作者
Almeida, Gilda [1 ]
机构
[1] Univ Miami, Law Sch, Miami, FL 33136 USA
来源
PROCEEDINGS OF THE 10TH INTERNATIONAL RAIS CONFERENCE ON SOCIAL SCIENCES AND HUMANITIES (RAIS 2018) | 2018年 / 211卷
关键词
Action; 14; arm's length; Base Erosion Profit Shifting (BEPS); diplomatic protection; international taxation; investment arbitration; mutual agreement procedure (MAP); OECD; Section; 482; Tax arbitration; transfer pricing;
D O I
暂无
中图分类号
C [社会科学总论];
学科分类号
03 ; 0303 ;
摘要
Globalization has subjected corporations to multi-jurisdictional tax systems. As a result, cross-border entities are exposed to the possibility of being audited and undergoing tax adjustments more than once for their transactions. In addition, various states' measures - such as Tax Information Exchange Agreements (TIEA) and the Foreign Account Tax Compliance Act (FATCA) - have promoted international cooperation, thereby allowing tax authorities to have access to a vast volume of data. The risk of double taxation has greatly increased due to the multi-jurisdictional authorities' easy access to data. To address and balance the overlap of jurisdictions in tax matters, states are signing bilateral and multilateral treaties consenting to mandatory and binding tax arbitration, thereby expanding states' mutual agreement procedure "MAP," a historic competent authority negotiation process. However, taxpayers are not part of the arbitration process. The focus of this analysis is on demonstrating the benefits of taxpayers' access to the state-to-state MAP arbitration procedure, which was intended to provide taxpayers relief from double taxation.
引用
收藏
页码:1 / 6
页数:6
相关论文
共 23 条
[1]  
[Anonymous], 2017, Model Tax Convention on Income and on Capital, DOI DOI 10.1787/MTC_COND-2017-EN
[2]  
[Anonymous], 2001, INTERTAX
[3]  
[Anonymous], TRANSFER PRICING RUL
[4]  
Ault H., 2013, Dispute Resolution: the Mutual Agreement Procedure
[5]  
Ault Hugh J., 2005, FLORIDA TAX REV, V7, P138
[6]  
Avi-Yonah R., 2017, ERASMUS LAW REV, V10, P3, DOI DOI 10.5553/ELR.000080
[7]   Globalization, tax competition, and the fiscal crisis of the welfare state [J].
Avi-Yonah, RS .
HARVARD LAW REVIEW, 2000, 113 (07) :1573-1676
[8]  
Bantekas I, 2008, ANU COLOMB DERECHO I, V1, P182
[9]  
Bittker Boris, 2016, FUNDAMENTALS INT TAX
[10]  
Bonnet Felicie, 2018, TAX NOTES INT, V90, P427