OECD Invites Taxpayer Input On Tenth Batches Of Dispute Resolution Peer Reviews

The OECD is now gathering input for the Stage 1 peer reviews of Andorra, Aruba, Bahrain, Barbados, Gibraltar, Greenland, Kazakhstan, Oman, Qatar, Saint Kitts and Nevis, Thailand, Trinidad and Tobago, United Arab Emirates and Viet Nam, and invites taxpayers to submit input on specific MAP-related issues by 16 December 2019.

Current request for input:

TypeTopicTitleDateDeadline
Public consultation documentPillar TwoGlobal Anti-Base Erosion (GloBE) Proposal under Pillar Two8 November 20192 December 2019
Call for inputDispute resolutionOECD invites taxpayer on tenth batch of dispute resolution peer reviews (BEPS Action 14)18 November 201916 December 2019
Public consultation meetingPillar OneSecretariat Proposal for a “Unified Approach” under Pillar One (Live streamed)21-22 NovemberRegister by 12 November 2019
Public consultation meetingPillar TwoGlobal Anti-Base Erosion (GloBE) Proposal under Pillar Two (Live streamed)9 December 2019Register by 29 November 2019

 * Please note that all comments received will be made publicly available. Comments submitted in the name of a collective “grouping” or “coalition”, or by any person submitting comments on behalf of another person or group of persons, should identify all enterprises or individuals who are members of that collective group, or the person(s) on whose behalf the commentator(s) are acting.

Related Documents

Source:  OECD 

Related Articles

Byrnes’ Comments on the OECD’s “Unified Approach” to Allocation of Profits of Digital Business

BEPS, DIGITAL SERVICES TAX, DIGITALIZATION, OECD, PERMANENT ESTABLISHMENTS, TRANSFER PRICING William Byrnes (Texas A&M University Law)/October 10, 2019  In my International Taxation class tomorrow (October 10th) we are going to discuss the  OECD’s

S.Africa: Summary of the Davis Tax Committee’s BEPS Sub-committee General Report released December 2014

Summary of the Davis Tax Committee’s BEPS Sub-committee General Report released December 2014 by Peter Dachs of ENS Introduction This note provides a summary of

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.