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Luxembourg has published Circular L.G. - Conv. D.I. No. 60 of 28 August 2017 on arrangements for the implementation of the mutual agreement procedure (MAP) provided for in bilateral tax treaties concluded by Luxembourg. Main points of the Circular include: MAP may be requested when a taxpayer considers that measures taken by one or both Contracting States result in taxation not in accordance with the provisions of an applicable tax treaty; In general, a MAP case must be submitted within three years of the first notification of the measure that resulted in the perceived non-conforming taxation, with the deadline to...