The Benefits of Competent Authority in Int'l Tax Disputes

Law360

David Farhat Eman Cuyler

Partner David Farhat and associate Eman Cuyler contend that it is increasingly important to consider the competent authority procedure — the mutual agreement process, or MAP, and advance pricing agreements, or APAs — as a viable alternative to resolving tax disputes that are within the scope of a treaty.

BACK TO TOP