APA & MAP COUNTRY GUIDE 2017 UNITED STATES

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APA & MAP COUNTRY GUIDE 2017 UNITED STATES Managing uncertainty in the new tax environment

UNITED STATES KEY FEATURES Competent authority APA provisions/ guidance Types of APAs available APA acceptance criteria Key deadlines APA term limits Advance Pricing and Mutual Agreement office ( APMA ), under the Large Business and International ( LB&I ) Division of the Internal Revenue Service ( IRS ) 1. Revenue Procedure 2015-41 ( Rev Proc 2015-41 ); and Guidance available on the APMA website. Unilateral, bilateral, and multilateral APAs are available. No specific guidance A Taxpayer is required to file an APA request within the time prescribed for filing its federal income tax return for the first proposed APA year. For bilateral and multilateral APAs, requests must be filed no later than 60 days after the corresponding request has been filed with the foreign CA(s). Taxpayers are encouraged to propose terms covering at least five prospective years. Filing fee General fee USD 60,000 Renewal fee USD 35,000 Small cases fee USD 30,000 Rollback availability Collateral issues An APA may cover one or more rollback years. Taxpayers should include a rollback request as part of this APA request. APMA may consider implementing a rollback even in the absence of a request. APMA will not agree to cover a closed filed year with a rollback of a unilateral APA request except in unusual circumstances. Any open back years of the Taxpayer under examination by the IRS must be identified in a pre-filing memorandum. A member of the IRS examination team involved in the Taxpayer s case will be involved in any APA negotiations with APMA. 1 Ultimate authority is delegated to the Deputy Commissioner of the LB&I Division of the IRS. 02 APA & MAP Country Guide 2017 United States

PRE-FILING REQUIREMENTS Overview Anonymous pre-filing availability APMA may require the Taxpayer to meet in a pre-filing conference and submit a pre-filing memorandum. Taxpayers may also request a pre-filing conference or choose to submit a pre-filing memorandum. Pre-filing memoranda are recommended for APA requests that may present novel or complex substantive or procedural issues, and requests for which APMA could reasonably have concerns regarding interrelated matters. Mandatory pre-filing memoranda must include: whether a pre-filing conference is sought and issues the Taxpayer wishes to discuss and three possible dates for the conference at least two weeks after submission of the memorandum; covered issue diagrams; name and contact information of the Taxpayer, and authorisation for the Taxpayer s representatives and points of contact to inspect or receive confidential tax information; and identification of all open back years and which, if any, are under investigation by the IRS. Both optional and mandatory pre-filing memoranda must be accompanied by an APMA Pre-file conference request form, available on the IRS website. APMA will notify the Taxpayer whether it will accept or decline a request to hold a pre-filing conference, and may require a conference even where one has not been requested. Pre-filing is available on an anonymous basis. www.dlapiper.com 03

APPLICATION REQUIREMENTS Content of an APA application APA requests must contain a request letter, as well as the following 22 exhibits : Contents of exhibits provide a table or similar comprehensive list of the exhibits submitted, indicating the form in which they have been submitted; Authorisation forms for representatives of the Taxpayer (e.g., an enrolled agent, lawyer or certified public accountant), and/or for those authorised to inspect or receive confidential information about the Taxpayer; Protective claim for bilateral or multilateral APAs, a statement affirming whether the request is to serve as a protective claim; Waiver of ex parte communication if the APA involves rollback years, a waiver of the Taxpayer s right to be present during communications between the IRS Appeals and the APMA team; Consent to disclosure for disclosure of an APA request to any applicable foreign CA(s); Consents regarding period of limitations any executed consents to extend the period of limitations for assessment of tax; Penalties of perjury declaration a declaration signed by the Taxpayer that the APA request and supporting documentation contains all relevant facts, and that such facts are true, correct and complete; User fee receipt obtained after paying required APA user fee; Documents submitted to foreign competent authorities a list of all documentation or written submissions provided to a foreign CA(s) in connection with the APA request; Pre-filing submissions any pre-filing memoranda submitted in connection with the APA request; 04 APA & MAP Country Guide 2017 United States

Covered issue diagrams including the controlled group s legal structure, tax structure, business units, the value chain of the proposed covered group, and organisational charts; APAs the most recent APA, if any, that the Taxpayer has entered into with the IRS or foreign CA(s); Selection process a report on results of applying criteria for selecting comparable agreements or independent comparable companies or other market data, including tables or matrix showing reasons for rejecting agreements, independent companies or other market data; Information on selected comparables a detailed discussion of the contractual terms of selected comparable agreements, as applicable; Proposed draft APA submitted in a form similar to APMA s current model APA (available on the APMA website or on request) and a redline version of the same showing the differences between the model APA and the proposed draft APA; Application of APA template for APA requests that involve an application of the comparable profits method or the transactional net margin method, provide income statement data for the previous five taxable years and balance sheet data for the previous six taxable years for the relevant members of the proposed covered group, using the template provided by the IRS; Federal income tax filings Forms 1120, 5471, 5472, 8858 for each of the three most recent filed years of the Taxpayer; Financial statements full income statements, balance sheets, cash flow statements for the most recent three back years, specifying accounting standard used; Section 6662 documentation documentation prepared in consideration of the transfer pricing penalty under IRC s 6662(e) for each relevant member of the proposed covered group for each of the most recent three back years; www.dlapiper.com 05

Language SME provisions Regulatory filings Securities and Exchange Commission filing by the controlled group for each of the most recent three back years; APA annual reports for renewal requests only; and Intercompany agreements copies of intercompany contracts or agreements between the Taxpayer and other members of the covered group within the scope of the covered issues. The documentation should be submitted in English. To be eligible for a small cases APA: sales revenues must be less than USD 500 million in each of most recent three tax years; the aggregate value of the proposed covered issue(s) cannot be expected to exceed USD 50 million in any given year for the duration of the APA; the aggregate value of any transfer of rights in, or rights to use, intangibles cannot be expected to exceed USD 10 million in any given year for the duration of the APA; and no proposed covered issue can involve intangible property arising from, or otherwise relate to, and intangible development arrangement. Taxpayers that are eligible for the small cases APA may submit a complete APA request together with the fee, or may contact APMA to discuss filing an abbreviated APA request. 06 APA & MAP Country Guide 2017 United States

OTHER PROCEDURAL CONSIDERATIONS General Monitoring & compliance APMA follows a standard pre-filing, application and monitoring process. There are no unique procedural aspects. The Taxpayer must provide an annual report for the duration of the APA, demonstrating compliance with the APA terms and conditions, and any adjustments. The report must be filed with APMA by the later of (i) the 15th day of the 12th month following the close of the APA year, or (ii) 90 days after the effective date of the APA. APMA may require the following documentation in an annual report: a statement regarding any material differences between business operations during the APA year and the description of business operations contained in the APA request; a statement concerning any material changes to the Taxpayer s accounting methods and classifications, and methods of estimation from those described in the APA request; any changes to the Taxpayer notice information; a description of any failure to meet critical assumptions; a statement identifying whether or not any material information submitted while the APA request was pending is discovered to be false, incorrect or incomplete; the amount, reason for, and financial analysis of any compensating adjustments for the APA year; the amounts, description, reason for, and financial analysis of any book-tax difference relevant to the TP method for the APA year; a statement regarding whether the Taxpayer intends to request a renewal, modify or cancel the APA; financial statements, analysis and accounting details to demonstrate compliance with the TP method; an organisational chart; a copy of the APA and any amendments; and a penalty of perjury statement. www.dlapiper.com 07

Renewal procedure COUNTRY EXPERIENCE Statistics MAP PROCEDURE Taxpayers may seek renewal of an APA, and the renewal process generally follows the same process as APA requests unless the IRS permits the submission of an abbreviated APA request. An abbreviated APA request may be filed if the Taxpayer can show that the applicable law, facts and circumstances, economic conditions, proposed covered issues and methods and other relevant factors are reasonably expected to be substantially the same as those in the proposed renewal APA years. There were 398 pending APA applications and 86 executed applications during the 2016 tax year. The average completion time was 50.5 months for bilateral APAs and 33.9 months for unilateral APAs. The IRS has had an APA program since 1991. MAP provisions Revenue Procedure 2015-40 ( Rev Proc 2015-40 ) DOUBLE TAXATION TREATY NETWORK The following treaties include MAP provisions which are the basis for bilateral and multilateral APA negotiations: Armenia Australia Austria Azerbaijan Bangladesh Barbados Belarus Belgium (I) Bulgaria Canada (I) China Cyprus Czech Republic Denmark Egypt Estonia Finland France (I) Georgia Germany (I) Hungary Iceland India Indonesia Ireland (I) Israel Italy (I) Jamaica Japan Kazakhstan (I) Korea (Republic of) Kyrgyzstan Latvia Lithuania 08 APA & MAP Country Guide 2017 United States

DOUBLE TAXATION TREATY NETWORK Luxembourg Malta Mexico (I) Moldova Morocco Netherlands New Zealand Norway Philippines Poland Portugal (VI) Romania Russia Slovak Republic Slovenia South Africa Spain Sri Lanka Sweden Switzerland Tajikistan Thailand Trinidad Tunisia Turkey Turkmenistan Ukraine United Kingdom Uzbekistan Venezuela NOTES I II denotes treaties with MAP arbitration provisions. denotes treaties with the USSR that remain applicable until a separate tax treaty is concluded. III denotes treaties between the countries representative office in Taipei and the Taipei Economic and Cultural Office in the relevant country. IV denotes treaties that became effective within the last five years. V denotes treaties that are awaiting ratification. VI denotes MAP provisions identical to para 3, art 25 of the OECD Model Convention with respect to Taxes on Income and on Capital. VII arbitration is to be conducted under the statutes of the ECJ. VIII arbitration is to be conducted under the statutes of the ICJ. www.dlapiper.com 09

DLA PIPER CONTACTS Joel Cooper Co-Head International Transfer Pricing T +44 207 796 6929 M +44 773 829 5470 joel.cooper@dlapiper.com Randall Fox Co-Head International Transfer Pricing T +44 207 796 6928 M +44 773 8295 935 randall.fox@dlapiper.com UNITED STATES Mike Patton Partner T +1 310 595 3199 mike.patton@dlapiper.com 10 APA & MAP Country Guide 2017 United States

www.dlapiper.com DLA Piper is a global law firm operating through various separate and distinct legal entities Further details of these entities can be found at www.dlapiper.com. This publication is intended as a general overview and discussion of the subjects dealt with, and does not create a lawyer-client relationship. It is not intended to be, and should not be used as, a substitute for taking legal advice in any specific situation. DLA Piper will accept no responsibility for any actions taken or not taken on the basis of this publication. This may qualify as Lawyer Advertising requiring notice in some jurisdictions. Prior results do not guarantee a similar outcome. Copyright 2017 DLA Piper. All rights reserved. JUL17 3243621