On 31 October 2025, the OECD Forum on Tax Administration (FTA) presented their annual Tax Certainty Day. The day coincided with the publication of annual statistics for the 2024 reporting period on Mutual Agreement Procedure (MAP) cases and use of Advance Pricing Agreements (APAs) to provide proactive assurance on multinational groups’ transfer pricing arrangements. As usual, the FTA recognised jurisdictions making positive strides with their engagement on APA and MAP cases with a series of awards. Overall, the statistics indicate positive developments in prevention and resolution of transfer pricing (TP) disputes, but challenges remain with access and outcomes.
There were a number of panel discussions as part of Tax Certainty Day and panellists made frequent references to the use of data and technology, including artificial intelligence (AI), to enhance process efficiency and to support simplification, for example in benchmarking related party transactions against arm’s length equivalents. Simplification both of international tax rules and competent authority (CA) processes was recognised as a potential way to drive further improvement, with a clear recognition that ‘Tax Certainty’ is not one process or tool, but the result of an interplay of factors.