THE OECD
Council has given approved the 2010 version of the OECD’s
Model Tax Convention, the updation of the 1995 Transfer Pricing Guidelines and the 2008 Report
on the Attribution of Profits to Permanent Establishments.
The OECD’s Committee on Fiscal Affairs works on an ongoing basis to
revise the Model Tax Convention and its Commentaries to address changing economic
conditions. The 2010 update to the Model Tax Convention includes a new Article
7 (Business Profits), which completes the Committee’s work on the attribution
of profits to permanent establishments. It also introduces new text relating
to the granting of the benefits of tax treaties with respect to the income
of collective investment vehicles, the application of tax treaties to State-owned
entities (including sovereign wealth funds),OECD's prescriptions on tax treaty issues relating to
common telecommunications transactions, and the application of Article 15 (Income
from Employment) to employees who work for a short duration in a foreign country.
The OECD’s Transfer Pricing Guidelines for Multinational Enterprises
and Tax Administrations provide guidance on the application of the “arm’s
length principle” for transfer pricing.The 2010 revision
to the Transfer Pricing Guidelines is the first major revision to this document
since the Guidelines were first released in 1995. It contains new, more detailed
guidance on how to perform comparability analyses in practice in order to
compare the conditions of transactions between associated enterprises with
those of transactions between independent enterprises. It also includes new
guidance on how to select the most appropriate transfer pricing method to
the circumstances of the case and on how to apply in practice two of the
OECD-approved transfer pricing methods, referred to as “transactional
profit methods”, namely the transactional net margin method and the transactional
profit split method. This update also includes a new chapter providing detailed
guidance on the transfer pricing aspects of business restructurings.
The Report on
the Attribution of Profits to Permanent Establishments, approved in its original
form by the OECD Council on 17 July 2008, provides guidance on the manner
in which the arm’s length principle can be used in determining
the profits attributable to a permanent establishment under Article 7 of the
OECD Model Tax Convention. In order to fully implement the conclusions of the
2008 Report, the Committee on Fiscal Affairs decided to draft a new version
of Article 7, which now appears in the 2010 update to the Model Tax Convention.
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