The Ministry of Finance published a document answering frequently asked questions (FAQs) concerning the mutual agreement procedure (MAP) under tax treaties on 17 August 2015. The answers provide, inter alia, the following clarifications: who may initiate a MAP, at which time the MAP may be initiated and in which manner; and the difference between the MAP and the arbitration procedure.
«
Bulgaria-Greece: Tax dispute established
Canada: CRA releases annual MAP report
»
Related Posts
Slovenia proposes changes corporate income tax law
Slovenia's government has presented a draft bill (EVA: 2024-1611-0039) to the parliament on 25 October 2024, proposing several amendments to the corporate income tax law. Tax loss carry-forward limitation The bill suggests limiting the
Read MoreSwitzerland, Slovenia amending protocol enters into force
The amending protocol of income and capital tax treaty between Switzerland and Slovenia entered into force on 16 October 2024. Signed on 30 May 2023, this protocol marks the second amendment to the treaty. The protocol will apply from 1 January
Read MoreSaudi Arabia, Slovenia to conclude tax treaty
During the recent Future Investment Initiative conference in Riyadh, held from 29 to 31 October 2024, officials from Saudi Arabia and Slovenia convened to discuss bilateral relations, including the potential establishment of an income tax
Read MoreAndorra, Slovenia negotiates tax treaty
Representatives from Andorra and Slovenia convened to outline a roadmap for bilateral cooperation, which includes negotiating an income tax treaty. The announcement was made by Andorran government officials on 9 September 2024. A tax treaty is a
Read MoreAustralia, Slovenia sign tax treaty
The Australian government announced on 9 September 2024 that it signed a new tax treaty with Slovenia. The tax treaty treaty is the first between the two countries and marks a significant milestone in the bilateral relationship. Once in force,
Read MoreSwitzerland ratifies tax treaty protocol with Slovenia
Switzerland has announced its decision to ratify the pending protocol to the 1996 income and capital tax treaty with Slovenia, published in the Official Gazette on 25 June, 2024. Signed on 30 May 2023, this protocol marks the second amendment to
Read More