2. Article
The competent authority of each
State shall inform its counterpart of the other State of its
choice of potential cases for simultaneous tax examinations, for
which it used the selection criteria described below. It shall
explain, as far as possible, why it has chosen these cases and
provide the information leading to its proposals, together with
any other relevant information, as well as its statute of
limitation applicable to the cases proposed for simultaneous
examinations.
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