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International - Status of Implementation of the Authorized OECD Approach Into Domestic Tax Law and Tax Treaties – Part 2

S. Huibregtse; L. Verdoner; I. Valutyte; R. Offermanns
European Taxation, 2015 (Volume 55), No 9
21 August 2015
This article examines profit/loss allocation in a headquarter/branch scenario. Part 1, which was published in European Taxation 8 (2015), discussed the actual split between a head office and branch from a theoretical perspective, basic concepts derived from public international treaty law, the notion of Key Entrepreneurial Risk-Taking Functions versus Significant People Functions and the Authorised OECD Approach (AOA). Part 2 continues to analyse the AOA, looks at the question of whether adequate capital is allocated to the branch as a fictitious separate entity and outlines court cases, tax policy and advance pricing agreement/mutual agreement procedure implications.
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