The Relationship of Head Office and Its Foreign Permanent Establishments: The Current State of the Authorised OECD Approach – Part Two

Part One of this article reviewed the purpose and history of permanent establishment (PE) taxation and examined the uneven reception of the Authorised OECD Approach (AOA) across major jurisdictions. Part Two explores the AOA’s practical impact, focusing on banks’ free capital, and addresses concerns about its asymmetry with transfer pricing rules. The article concludes with possible future developments and pathways for refining profit attribution.