Renewal of the Mexico-USA Qualified Maquiladora Approach Agreement (QMA)

On November 16th, 2020, the US Internal Revenue Service (IRS) published a release stating that, together with the Mexican Tax Administration Service (SAT), it had agreed to renew the Fast Track methodology (Qualified Maquiladora Approach Agreement) for 2019. The agreement provides greater certainty to Mexican maquiladora companies that applied for a APA (Advance Price Agreement), so as to known when to avoid double taxation.

December, 2020

Certain changes were incorporated to the methodology applied for the rotation of accounts payable, as well as due to the recent health crisis in 2020, in order to define their correct treatment for this and the coming years On November 16th, 2020, the US Internal Revenue Service (IRS) published a release stating that, together with the Mexican Tax Administration Service (SAT), it had agreed to renew the Fast Track methodology (Qualified Maquiladora Approach Agreement) for 2019. The agreement provides greater certainty to Mexican maquiladora companies that applied for a APA (Advance Price Agreement), so as to known when to avoid double taxation.

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