Your Single Source for Global Tax
TaxSpoc Logo

US | Mexico | Transfer Pricing

August 01, 2024

Renewal of Qualified Maquiladora Approach Agreement Between U.S. and Mexico in 2024

This is the second renewal of the agreement, preserving the core elements of the original framework 

Renewal of Qualified Maquiladora Approach Agreement Between U.S. and Mexico in 2024

In 2024, the Internal Revenue Service (IRS) of the United States and the Mexican Tax Administration Service (SAT) renewed the Agreement regarding the Qualified Maquiladora Approach (QMA). This marks the second renewal of the agreement within the 2018-2024 administration, originally established between the competent authorities of the United States and Mexico in 2016.

This renewed agreement preserves the core elements of the QMA's transfer pricing framework, which was applicable to fiscal year 2019 and earlier. Both countries' authorities concluded that this framework continues to produce results consistent with the arm's length principle, ensuring fair pricing and taxation practices for maquiladoras.

According to the agreement, only those maquiladoras that have requested, obtained, and correctly implemented a resolution corresponding to fiscal year 2019 and previous years, or that obtain an applicable resolution for fiscal years 2020 to 2024, are in compliance with Article 182, first paragraph of the Mexican Income Tax Law (LISR). Importantly, these resolutions must not be subject to any dispute. If a resolution has been challenged through any means of defense, it must be withdrawn, and the resolution must be correctly implemented, or the provisions of Article 182 must be correctly applied.

The renewal of the QMA agreement is the culmination of collaboration between the competent authorities of Mexico and the United States. This joint effort addressed the inventory of requests for unilateral resolutions issued by the SAT under Article 34-A of the Federal Tax Code, which involves maquiladoras. This ongoing cooperation aims to ensure the continued effectiveness and compliance of transfer pricing practices between the two countries.

 

SOURCE/RECOMMENDED READ: 

About Authors:

Egypt | VAT

Egyptian Tax Authority (ETA) Rolls Out a Transparent, Hassle-Free VAT System for Global Providers of Digital and Remote Services.

Italy | VAT

Italy Seeks Nearly €1 Billion in VAT payments from Meta, X, and LinkedIn, Targeting Transactions from 2015 to 2022

Egypt | Tax Policy

Fostering Trust, Partnership, and Business Confidence Through Fair and Efficient Tax Services

EU | Customs

The European Commission extends tariff suspension on U.S. imports until April 14, 2025, aiming to resolve trade tensions and avoid escalation

OECD BEPS | Turkey

Amount B will not be applied to transactions involving distributors, sales agents, and brokers operating in Turkey

Saudi Arabia | Big 4

The ban could lead Saudi authorities to implement stricter compliance regulations for consulting firms

EU | Transfer Pricing

MNEs will be required to submit their first top-up tax information return by 30 June 2026, tax authorities will need to exchange this information by 31 December 2026

EU | Tax Policy

Focus on Green Transition, Addressing the VAT gap, and Commitment to Global Tax Reform are some of the priorities

Reach your target audience

Contact us at hello@taxspoc.com

TaxSpoc Logo

Follow Us:

Taxspoc, UAB 2024. The Taxspoc is not responsible for the content of external sites.