Denmark Dispute Resolution Country Profile

 

 

last update 12 April 2012

 

Competent Authority 

Corporations and Individuals:
Ministry of Taxation
Customs and Tax Administration
Centre for Large Enterprises
International Corporate Tax Division
Sluseholmen 8 B
DK-2450 Copenhagen SV
Tel: +45 7222 1818
Fax: +45 7222 1919
 

Organization

MAP & APA are both handled by:


International Corporate Tax Division – a division within Centre for Large Enterprises.
Head of International Corporate Tax Division: Mr. Troels Kjølby Nielsen
 

Scope of MAP & MAP APA

- Relief of double taxation for specific taxpayer.
- Application and interpretation of articles in Double Tax Conventions (DTCs)
 

Domestic guidelines & administrative arrangements

None.

Time for filing

MAP: DTC or domestic rules.
APA: No specific rules.
 

Form of request

No specific rules under Danish law.

 

MAP: No specific form is required. Written request is however expected.


APA: It is recommended that the taxpayer follows the OECD suggestions i.e. a preliminary meeting with the tax administration after which the taxpayer will submit a detailed proposal.

Documentation requirement

No specific rules under Danish law.

 

In practice domestic transfer pricing documentation requirements cf. article 3 B in the Tax Control Act is relevant especially in relation to APA cases.

User fees

None

Tax collection / penalty / interest

Normal principles apply.

Other dispute resolution mechanisms

The EU Arbitration Convention for transfer pricing cases.

Government Website

http://www.skat.dk 

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