Ƶ

Bilateral Advance Pricing Agreement Template for Philippines

Create a bespoke document in minutes,  or upload and review your own.

4.6 / 5
4.8 / 5

Let's create your Bilateral Advance Pricing Agreement

Thank you! Your submission has been received!
Oops! Something went wrong while submitting the form.

Get your first 2 documents free

Your data doesn't train Genie's AI

You keep IP ownership of your information

Key Requirements PROMPT example:

Bilateral Advance Pricing Agreement

"Need a Bilateral Advance Pricing Agreement between our Philippine manufacturing subsidiary and Japanese parent company, covering technology licensing and management service fees for a 5-year term starting January 2025, with particular focus on cost-plus methodology for R&D services."

Document background
A Bilateral Advance Pricing Agreement (BAPA) is a crucial instrument for multinational enterprises operating in the Philippines seeking to establish certainty in their transfer pricing arrangements. This agreement is particularly valuable when there are significant cross-border transactions between related entities and where transfer pricing risks need to be managed effectively. The document establishes approved methodologies for determining arm's length prices, incorporating requirements from Philippine transfer pricing regulations, international guidelines, and the relevant foreign jurisdiction's requirements. It typically includes detailed analysis of business operations, financial projections, and specific terms for monitoring and compliance. The agreement helps prevent double taxation, reduces audit risks, and provides a framework for consistent application of transfer pricing policies across jurisdictions.
Suggested Sections

1. Parties: Identification of the taxpayer, Philippine tax authority (BIR), and foreign tax authority entering into the agreement

2. Background: Context of the agreement, including business relationships and reason for seeking the APA

3. Definitions: Key terms used throughout the agreement, including technical transfer pricing terminology

4. Scope of Agreement: Covered transactions, products/services, and entities included in the agreement

5. Term of Agreement: Duration of the APA, including effective date and expiration

6. Transfer Pricing Methodology: Agreed method for determining arm's length prices, including selection rationale

7. Critical Assumptions: Fundamental conditions upon which the agreement is based

8. Annual Compliance Requirements: Reporting obligations and documentation requirements

9. Review and Adjustment Procedures: Process for reviewing and adjusting transfer prices within agreed parameters

10. Confidentiality: Provisions regarding the protection of sensitive information

11. Termination and Revision: Circumstances and procedures for terminating or revising the agreement

12. Dispute Resolution: Procedures for resolving disagreements between parties

13. Governing Law: Application of Philippine law and relevant international agreements

14. Execution: Signature blocks and execution formalities

Optional Sections

1. Rollback Provisions: Terms for applying the agreed methodology to previous tax years

2. Industry-Specific Provisions: Special considerations unique to the taxpayer's industry

3. Force Majeure: Provisions for extraordinary circumstances affecting the agreement's implementation

4. Competent Authority Proceedings: Procedures for involving competent authorities in dispute resolution

5. Special Economic Zone Considerations: Additional provisions for entities operating in special economic zones

6. Currency and Exchange Rate Provisions: Special provisions for handling multiple currencies and exchange rate fluctuations

Suggested Schedules

1. Schedule A - Covered Transactions: Detailed list and description of all transactions covered by the agreement

2. Schedule B - Transfer Pricing Methodology Details: Technical details of the agreed methodology, including calculations and examples

3. Schedule C - Critical Assumptions Analysis: Detailed analysis and parameters of critical assumptions

4. Schedule D - Compliance Requirements: Specific documentation and reporting requirements

5. Schedule E - Financial Data: Historical financial data and projections relevant to the agreement

6. Appendix 1 - Organizational Structure: Corporate structure and relationships between relevant entities

7. Appendix 2 - Functional Analysis: Detailed analysis of functions, assets, and risks of involved entities

8. Appendix 3 - Economic Analysis: Supporting economic analysis and benchmarking studies

Authors

Alex Denne

Head of Growth (Open Source Law) @ Ƶ | 3 x UCL-Certified in Contract Law & Drafting | 4+ Years Managing 1M+ Legal Documents | Serial Founder & Legal AI Author

Relevant legal definitions







































Clauses






























Relevant Industries

Manufacturing

Technology

Pharmaceutical

Automotive

Consumer Goods

Financial Services

Telecommunications

Energy and Resources

Chemical Industry

Electronics Manufacturing

Software Development

Business Process Outsourcing

Relevant Teams

Finance

Tax

Legal

Treasury

International Operations

Risk Management

Compliance

Corporate Planning

Transfer Pricing

Financial Reporting

Internal Audit

Relevant Roles

Chief Financial Officer

Tax Director

Transfer Pricing Manager

International Tax Manager

Finance Director

Corporate Controller

Tax Compliance Manager

Treasury Manager

Financial Planning Manager

Legal Counsel

Head of International Operations

Chief Risk Officer

Global Tax Planning Director

Finance Operations Manager

Industries







Teams

Employer, Employee, Start Date, Job Title, Department, Location, Probationary Period, Notice Period, Salary, Overtime, Vacation Pay, Statutory Holidays, Benefits, Bonus, Expenses, Working Hours, Rest Breaks,  Leaves of Absence, Confidentiality, Intellectual Property, Non-Solicitation, Non-Competition, Code of Conduct, Termination,  Severance Pay, Governing Law, Entire Agreemen

Find the exact document you need

Compromise Agreement Tax

A Philippine law-governed agreement between a taxpayer and the Bureau of Internal Revenue (BIR) for settling tax liabilities through a compromise payment arrangement.

find out more

Transfer Pricing Agreement

A legal agreement governing transfer pricing arrangements between related entities in the Philippines, ensuring compliance with local regulations and international standards.

find out more

Bilateral Advance Pricing Agreement

A binding agreement under Philippine law between a taxpayer and two tax authorities establishing agreed transfer pricing methodologies for cross-border intercompany transactions.

find out more

Tax Installment Agreement

A formal agreement between a taxpayer and the Philippine Bureau of Internal Revenue (BIR) establishing terms for paying tax liabilities through scheduled installments under Philippine law.

find out more

Tax Abatement Agreement

A Philippine legal agreement between government authorities and private entities establishing tax incentives and relief measures under Philippine tax laws.

find out more

Voluntary Withholding Agreement

A Philippine law-compliant agreement establishing voluntary tax withholding arrangements between a withholding agent and payee.

find out more

Advance Price Agreement

A formal agreement between a taxpayer and the Philippine Bureau of Internal Revenue (BIR) establishing approved transfer pricing methodologies for related-party transactions.

find out more

Fuel Tax Agreement

A binding agreement establishing fuel tax compliance and payment procedures under Philippine tax law.

find out more

Tax Indemnification Agreement

A Philippine law-governed agreement establishing tax indemnification obligations between parties, outlining tax liability coverage and claim procedures under Philippine tax regulations.

find out more

Tax Sharing Agreement

A Philippine law-governed agreement establishing tax revenue sharing arrangements between government entities, aligned with the Local Government Code and national tax regulations.

find out more

Download our whitepaper on the future of AI in Legal

By providing your email address you are consenting to our Privacy Notice.
Thank you for downloading our whitepaper. This should arrive in your inbox shortly. In the meantime, why not jump straight to a section that interests you here: /our-research
Oops! Something went wrong while submitting the form.

ұԾ’s Security Promise

Genie is the safest place to draft. Here’s how we prioritise your privacy and security.

Your documents are private:

We do not train on your data; ұԾ’s AI improves independently

All data stored on Genie is private to your organisation

Your documents are protected:

Your documents are protected by ultra-secure 256-bit encryption

Our bank-grade security infrastructure undergoes regular external audits

We are ISO27001 certified, so your data is secure

Organizational security

You retain IP ownership of your documents

You have full control over your data and who gets to see it

Innovation in privacy:

Genie partnered with the Computational Privacy Department at Imperial College London

Together, we ran a £1 million research project on privacy and anonymity in legal contracts

Want to know more?

Visit our for more details and real-time security updates.