Advanced Pricing Agreements: Expanded Framework
January 1, 2025
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Advanced Pricing Agreements: Expanded Framework
Taxpayers can seek unilateral, bilateral, or multilateral APAs under Articles 31-ter and 31-quater of Presidential Decree 600/1973, with the aim of reducing disputes and providing certainty over multi-year transfer pricing positions. Procedures are coordinated with the latest OECD BEPS recommendations.
Source:
OECD Italy: APA Reference