Exchange of information: States must share tax relevant data under confidentiality and limited disclosure rules for tax administration. Competent authorities must exchange information foreseeably relevant to implementing the Agreement or administering and enforcing domestic tax laws; received information is to be kept secret and disclosed only to persons or authorities involved in tax assessment, collection, enforcement, prosecution, appeals or oversight and used only for those purposes, though it may appear in public court proceedings. A State need not adopt measures contrary to its laws or supply information unobtainable under its laws or that would reveal protected trade secrets or contravene public policy. Requested States must use their information gathering measures to obtain information even without domestic interest, and cannot refuse solely because the information is held by banking or fiduciary persons or concerns ownership interests.
Cases where this provision is explicitly mentioned in the judgment/order text; may not be exhaustive. To view the complete list of cases mentioning this section, Click here.
Provisions expressly mentioned in the judgment/order text.
Exchange of information: States must share tax relevant data under confidentiality and limited disclosure rules for tax administration.
Competent authorities must exchange information foreseeably relevant to implementing the Agreement or administering and enforcing domestic tax laws; received information is to be kept secret and disclosed only to persons or authorities involved in tax assessment, collection, enforcement, prosecution, appeals or oversight and used only for those purposes, though it may appear in public court proceedings. A State need not adopt measures contrary to its laws or supply information unobtainable under its laws or that would reveal protected trade secrets or contravene public policy. Requested States must use their information gathering measures to obtain information even without domestic interest, and cannot refuse solely because the information is held by banking or fiduciary persons or concerns ownership interests.
Full Summary is available for active users!
Note: It is a system-generated summary and is for quick reference only.