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Bilateral Advance Pricing Agreement
"I need a Bilateral Advance Pricing Agreement between our Indian IT services subsidiary and our US parent company, covering software development services and licensing arrangements, with a proposed effective date of January 1, 2025."
1. Parties: Identification of the taxpayer, Indian tax authority (CBDT), and the relevant foreign tax authority
2. Background: Context of the agreement, including description of the international transactions and business operations involved
3. Definitions: Definitions of key terms used in the agreement, including technical transfer pricing terms and specific business terminology
4. Scope of Agreement: Detailed description of covered transactions, entities, and time period of the APA
5. Transfer Pricing Methodology: Agreed method(s) for determining arm's length pricing, including computational details and rationale
6. Critical Assumptions: Key business and economic conditions that form the basis of the agreement
7. Term of Agreement: Duration of the APA, including effective date and expiration date
8. Compliance Requirements: Annual compliance obligations, reporting requirements, and maintenance of records
9. Review and Adjustment Procedures: Processes for reviewing compliance and making necessary adjustments
10. Governing Law and Jurisdiction: Applicable laws and jurisdiction for interpreting and enforcing the agreement
11. Confidentiality: Provisions regarding the confidentiality of information shared under the agreement
12. Amendment and Termination: Conditions and procedures for modifying or terminating the agreement
1. Rollback Provisions: Section addressing the application of the APA to previous years, used when rollback is requested and approved
2. Dispute Resolution: Specific procedures for resolving disputes, included when standard MAP provisions need modification
3. Force Majeure: Provisions for handling unforeseen circumstances, included for agreements with significant operational dependencies
4. Language: Specification of controlling language version, included when agreement is executed in multiple languages
5. Group Relief: Provisions related to group taxation aspects, included when relevant for multinational group structures
6. Customs Valuation Alignment: Provisions aligning transfer pricing with customs valuation, included when there are significant import/export transactions
1. Schedule A - Covered Transactions: Detailed list and description of all international transactions covered under the APA
2. Schedule B - Transfer Pricing Computations: Detailed methodology, formulas, and examples of transfer pricing calculations
3. Schedule C - Critical Assumptions Details: Comprehensive list and explanation of all critical assumptions
4. Schedule D - Annual Compliance Report Format: Template and instructions for annual compliance reporting
5. Schedule E - Related Party Details: Information about all related parties involved in covered transactions
6. Appendix 1 - Supporting Documentation: List of all supporting documents referenced in the agreement
7. Appendix 2 - Economic Analysis: Detailed economic analysis supporting the transfer pricing methodology
8. Appendix 3 - Functional Analysis: Detailed analysis of functions, assets, and risks of involved entities
Authors
Manufacturing
Information Technology
Pharmaceutical
Automotive
Consumer Goods
Financial Services
Telecommunications
E-commerce
Research and Development
Professional Services
Finance
Tax
Legal
Treasury
International Operations
Corporate Planning
Compliance
Risk Management
Transfer Pricing
Corporate Development
Chief Financial Officer
Tax Director
Transfer Pricing Manager
International Tax Manager
Corporate Controller
Finance Director
Tax Compliance Manager
Head of Global Tax
Treasury Manager
Finance Planning Manager
Legal Counsel
Tax Partner (External Advisory)
Corporate Finance Manager
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