WASHINGTON - The Internal Revenue
Service today announced the completion of the first
bilateral advance pricing agreement ("APA") between the U.S.
and the People's Republic of China.
The agreement involves Wal-Mart Stores,
Inc. The parties, including Wal-Mart, worked quickly and
constructively to establish a mutual agreement process that
will benefit future bilateral APAs between the two
countries.
"We’re working closely with China as they
develop their tax administration system," said IRS
Commissioner Mark W. Everson. "This is an important event,
and I’m pleased we’ve been able to reach this agreement with
the Chinese tax authority and Wal-Mart."
The IRS APA Program provides a way to
resolve transfer pricing issues before they arise during an
audit. The program enables the taxpayer and the IRS to work
together to resolve potential double taxation disputes under
U.S. tax law and relevant income tax treaties. APAs lessen
the burden of compliance by giving taxpayers greater
certainty regarding their transfer pricing methods.
The APA process increases the efficiency
of tax administration by encouraging taxpayers to come
forward and present to the IRS all the facts relevant to a
proper transfer pricing analysis and to work towards a
mutual agreement in a spirit of openness and cooperation.
In 2006, there were 82 APAs executed, of which 40 were
bilateral agreements with other tax treaty countries.