Competent Authority Proceeding definition

Competent Authority Proceeding means any proceeding pursuant to the mutual assistance or mutual agreement provisions of any tax treaty or any similar proceeding before any Competent Authority (or other body similar to a Competent Authority established pursuant to any tax treaty).
Competent Authority Proceeding means any proceeding pursuant to the mutual assistance or mutual agreement provisions of any tax treaty or any similar proceeding before any Competent Authority (or other body similar to a Competent Authority established pursuant to any tax treaty). “Distribution” means the distribution by ▇▇▇▇▇▇▇ Controls of all of the Jersey SpinCo Shares to holders of ▇▇▇▇▇▇▇ Controls common stock, which will be effected by way of a distribution in specie by ▇▇▇▇▇▇▇ Controls of the Adient Business to the holders of ▇▇▇▇▇▇▇ Con- trols common stock, through (a) the transfer to Adient, which will have been re-registered as a public limited company, of ▇▇▇▇▇▇▇ Controls’ entire legal and beneficial interest in the issued
Competent Authority Proceeding means a mutual agreement procedure (including an accelerated competent authority procedure) within the meaning of paragraphs 2 and 3 of Article XXVI of the Treaty between the Competent Authorities in respect of the CTPD.

Examples of Competent Authority Proceeding in a sentence

  • The other Company shall cooperate with the Adjusted Company (including by providing any necessary information reasonably requested by the Adjusted Company) with respect to the conduct of any such Competent Authority Proceeding.

  • In making any decisions in connection with any Competent Authority Proceeding described in this Section 9.02(c) (including the determination whether to initiate such Competent Authority Proceeding, relief to be sought pursuant to such Competent Authority Proceeding and actions to be taken in connection with such Competent Authority Proceeding), the Companies shall seek to minimize the aggregate Tax Liability of the ▇▇▇▇▇▇▇ Controls Group and the Adient Group.

  • Except in the case of any Competent Authority Proceeding (which shall be governed by Section 9.02(c)), in the case of any Tax Contest with respect to any Combined Return or Non-Recoverable Transaction Tax Return, ▇▇▇▇▇▇▇ Controls shall have exclusive control over such Tax Contest, including exclusive authority with respect to any settlement of such Tax Contest, subject to Section 9.02(b) and Section 9.02(d).

  • In making any decisions in connection with any Competent Authority Proceeding described in this Section 10.02(c) (including the determination whether to initiate such Competent Authority Proceeding, relief to be sought pursuant to such Competent Authority Proceeding and actions to be taken in connection with such Competent Authority Proceeding), the Companies shall seek to minimize the aggregate Tax Liability of the Parent Group and the UpstreamCo Group.

  • Except in the case of any Competent Authority Proceeding (which shall be governed by Section 9.02(c)), in the case of any Tax Contest with respect to any Combined Return, Non-Recoverable Transaction Tax Return or Specified PRC Tax Return, ▇▇▇▇▇▇▇ Controls shall have exclusive control over such Tax Contest, including exclusive authority with respect to any settlement of such Tax Contest, subject to Section 9.02(d).

  • The other Company shall cooperate with the Adjusted Company (including by providing any necessary in- formation reasonably requested by the Adjusted Company) with respect to the conduct of any such Competent Authority Proceeding.

  • Adjusted Company shall not settle, compromise or abandon any such Competent Authority Proceeding without the prior written consent of the other Company, which consent shall not be unreasonably withheld, conditioned or delayed.

  • Except in the case of any Competent Authority Proceeding (which shall be gov- erned by Section 9.02(c)), in the case of any Tax Contest with respect to any Combined Return, Non-Recoverable Transaction Tax Return or Specified PRC Tax Return, ▇▇▇▇▇▇▇ Controls shall have exclusive control over such Tax Contest, including exclusive authority with respect to any settlement of such Tax Contest, subject to Section 9.02(d).

  • Except in the case of any Competent Authority Proceeding (which shall be governed by Section 9.02(c)): (i) In the case of any Tax Contest with respect to any ▇▇▇▇▇▇▇ Controls Sepa- rate Return, ▇▇▇▇▇▇▇ Controls shall have exclusive control over such Tax Contest, includ- ing exclusive authority with respect to any settlement of such Tax Contest, subject to Section 9.02(d).

Related to Competent Authority Proceeding

  • Competent Authority and ‘Appellate Authority’ shall mean the following:

  • enforcement authority means any person or body having jurisdiction to enforce or to take action under or in respect of the relevant legal requirement.

  • competent authorities means the competent authorities of the Member States as identified on the websites listed in Annex II;

  • third party proceeding means any threatened, pending or completed action, suit or proceeding, whether civil, criminal, administrative, or investigative, other than an action by or in the right of the corporation.

  • Complaint Investigation means an investigation of any complaint that has been made to a proper authority that is not covered by an abuse investigation.