Our Firm advises taxpayers on the correct application of the different provisions of the diverse Income Tax conventions
Our Firm advises taxpayers on the correct application of the different provisions of the diverse Income Tax conventions, specific actions of the BEPS plan launched by the OECD, mandatory disclosure rules (as per the Mexican Tax Code), as well as in tax reviews performed by tax authorities on any of these areas.
The increase in the number of tax treaties to avoid double taxation, and multiple significant changes to the OECD’s Model Tax Convention associated to the BEPS action plan, demand detailed analyses of the tax implications of transactions carried out by foreign residents (i.e, permanent establishments, tax residence, tax treatment of royalties, technical assistance, interests, expatriate personnel, etc.) so that taxpayers and foreign residents able to apply the benefits afforded by said treaties and avoid undesirable effects of international double-taxation.