CBDT issues Mutual Agreement Procedure (MAP) Guidance following OECD recommendations

MAP is an alternate tax dispute resolution mechanism available to taxpayers under the DTAAs for resolving disputes. Action 14 final report on “Making Dispute Resolution More Effective”, of BEPS project of G-20 and OECD countries, had recommended that all countries that implement BEPS package of measures must publish comprehensive MAP guidance. Now, the CBDT has issued MAP guidance for the benefit of taxpayers, tax practitioners, tax authorities, and CAs of India and of treaty partnersMAP is an alternate tax dispute resolution mechanism available to taxpayers under the DTAAs for resolving disputes. Action 14 final report on “Making Dispute Resolution More Effective”, of BEPS project of G-20 and OECD countries, had recommended that all countries that implement BEPS package of measures must publish comprehensive MAP guidance. Now, the CBDT has issued MAP guidance for the benefit of taxpayers, tax practitioners, tax authorities, and CAs of India and of treaty partnerstaxmann.com Latest Statutory HappeningsRead More

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