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Contents

Official guidance
International Exchange of Information Manual

IEIM541000 · Action 5 rulings: Types of ruling to exchange

  • IEIM541010 · Overview
  • IEIM541100 · Action 5 rulings: Types of rulings to exchange: Ruling related to a preferential regime
  • IEIM541200 · Action 5 rulings: Types of rulings to exchange: Rulings related to a unilateral Advanced Pricing Agreement
  • IEIM541250 · Action 5 rulings: Types of rulings to exchange: Other rulings related to transfer pricing
  • IEIM541300 · Action 5 rulings: Types of rulings to exchange: Rulings relating to permanent establishments
  • IEIM541310 · Action 5 rulings: Types of rulings to exchange: Permanent establishment examples
  • IEIM541320 · Action 5 rulings: Types of rulings to exchange: Attribution of profits to a permanent establishment
  • IEIM541350 · Action 5 rulings: Types of rulings to exchange: Foreign branch exemptions
  • IEIM541400 · Action 5 rulings: Types of rulings to exchange: Other rulings
  • IEIM541500 · Action 5 rulings: Example of exchange of a ruling
  1. Action 5 rulings: Types of ruling to exchange: Contents
  2. Action 5 rulings: Types of rulings to exchange: Rulings related to a unilateral Advanced Pricing Agreement

IEIM541200 | Action 5 rulings: Types of rulings to exchange: Rulings related to a unilateral Advanced Pricing Agreement

From HM Revenue & Customs · International Exchange of Information Manual

IEIM541200: Action 5 rulings: Types of rulings to exchange: Rulings related to a unilateral Advanced Pricing Agreement

A unilateral Advanced Pricing Agreement (APA) is a binding agreement between HMRC and a UK business under TIOPA10/s218; unlike a bilateral APA it does not involve the agreement of another tax authority. The agreement determines the UK tax treatment but does not usually decide the treatment in any other country (INTM422030).

Relevant jurisdiction with which to exchange for APAs will be:

  • The jurisdiction of residence of the ultimate parent company

  • The jurisdiction of residence of the immediate parent company

  • The jurisdiction(s) of residence of all related parties with which the customer enters a transaction covered by the APA or ATCA (IEIM540400) to the extent that those parties are related to the UK customer under the 25% threshold test (See IEIM540400)

Unilateral agreements that fall short of an APA or ATCA may also need to be exchanged under this category (IEIM541250).

Unilateral APAs or similar agreements relating to attribution of profits of a permanent establishment also have to be exchanged under Action 5 (IEIM541300).

Bilateral APAs

Bilateral APAs do not need to be exchanged under Action 5. In general terms, this is because they are made by agreement between the jurisdictions concerned.

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