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UK could be branded a tax haven after Osbornes surprise cut
George Osborne's surprise corporation tax cutwill push foreign investment into Britain up by 2 per cent in the long run but could risk the UK being branded a tax haven, according to some experts.
Mr Osborne used his summer Budget to promise to "go further in creating a Britain that is one of the most competitive economies in theworld" by cutting the rate to 18 per cent ÔøΩ the lowest rate in the G20 ÔøΩ by 2020.
For the Financial Times story, go here.
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World Bank and the IMF Launch Joint Initiative to Support Developing Countries in Strengthening Tax Systems
Theworld Bank and IMF have launched a joint initiative to help developing countries strengthen tax systems, increase tax revenue, and participate in international tax policy debates, according to a July 10 release.
For the release, go here.
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OECD Consults on Developing Countries' Use of Tax Incentives
A new OECD consultation paper seeking feedback onways low-income countries can effectively use tax breaks to attract investmentwill help developing nations "protect themselves from toxic tax incentives," Pascal Saint-Amans, director of the OECD's Centre for Tax Policy and Administration, told Tax Analysts.
For thewWTD story, go here. (subscription required)
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News Analysis: Tax Planning and Fairness in International Tax
Mindy Herzfeld reviews selected presentations from two recent conferences at Oxford and discusseswhy they refute the popular notion that fairness should drive the reform of international tax policy.
For the Tax Notes International article, go here. (subscription required)
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Upcoming PSI Hearing to Take on a Different Tenor?
Change in leadership of the Senate Homeland Security and Governmental Affairs Permanent Subcommittee on Investigations could mean a friendlier hearing environment for businesses, as some see evidenced in an upcoming panel on the tax motivation behind foreign mergers.
For the TNT story, go here. (subscription required)
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Ryan Backs Innovation Box as Part of Highway Funding
Patent box proposals are very much in play in international tax overhaul talks, according to Houseways and Means Committee Chairman Paul D. Ryan (R-Wis.).
For the BNA DTR story, go here. (subscription required)
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Three questions about Congress' newest idea for tax reform
Some members of Congress are pushing a tax reform deal thatwould kill two birdswith one stone: Itwould remove pressure on U.S. companies to move out of the country and unlock billions in tax revenues to replenish the empty highway trust fund. But the idea,which some analysts have described as a fad for its sudden popularity, faces some major obstacles.
For thewashington Examiner story, go here.
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BEPS Tax Storm Is Coming This Year
BEPS, the OECD's Base Erosion and Profit Shifting plan, lays out actions designed to realign current tax policywith the realities of the global economy.
For the CFO.com story, go here.
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World Investment Report 2015 - Reforming International Investment Governance
The United Nations has published itsworld Investment Report 2015 - Reforming International Investment Governance (UNCTAD/WIR/2015),which includes, in Chapter V "International Tax and Investment Policy Coherence," the comment that corporate tax anti-avoidance discussions should pay more attention to investment policy in developing countries and proposes a set of guidelines for tax and investment policy. The authors claims that the chapter helps lay the foundation for a discussion on harmful tax competition.
The chapter suggests that "The policy imperative is, and should be, to take action against tax avoidance to support domestic resource mobilization and to continue to facilitate productive investment."
For the UN report, go here.
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Seizing a Once-in-a-Generation Opportunity
Developing countries should implement simple, fair, and broad-based tax systems to improve tax ratios and spend extra revenue efficiently to support inclusive growth, IMF Managing Director Christine Lagarde said in July 8 remarks.
For the remarks, go here.
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BEPS: The End of the Beginning
At the final public consultations on the G-20/OECD base erosion and profit-shifting project in Paris July 6 and 7, thoughts turned to the next phase.
For thewWTD story, go here. (subscription required)
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Consultation on Options for Low Income Countries Effective and Efficient Use of Tax Incentives for Investment
The OECD has issued for public comment an options paper on the design and implementation of tax incentives to attract investment in low-income countries; submissions on the paper are due August 5.
For the paper, go here.
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U.K. Corporate Tax Cut Will Boost Foreign Investment
U.K. Chancellor of the Exchequer George Osborne's decision to further slash corporation tax rates in 2017 and 2020 should help to encourage multinational companies to continue to invest in the U.K., tax attorneys and analysts told Bloomberg BNA.
In his interim Summer 2015 budget speech, Osborne announced that the U.K.will slash its 20 percent corporate tax rate to 19 percent in 2017, and to 18 percent by 2020.
For the BNA DTR story, go here. (subscription required)
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A tax system for sustainable growth
In this exclusive op-ed piece for International Tax Review, Chris Lenon, former head of tax for Rio Tinto and an expertwitness to the Independent Commission for the Reform of International Corporate Taxation (ICRICT), argues that a focus on incentives and ultra low or no tax jurisdictions should be policy makers' priority, rather than ideas included in the commission's report, such as allocation.
For the ITR op-ed, go here.
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Tax: MEPs advocate country-by-country reporting to help developing countries
The EU and its member states should make multinationals report their financial performance, tax details, assets and employee numbers country by country, so as to help fight tax evasion and illicit money flows in developing countries, says Parliament in a non-binding resolution voted onwednesday. MEPs also call on EU financial institutions to ensure that companies receiving EU support do not "participate" in tax evasion.
For the European Parliament news story, go here.
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Tax Fairness Coalition Expresses Deep Disappointment with Schumer-Portman International Tax Reform Framework
Americans for Tax Fairness executive director Frank Clemente today released the following statement in response to the introduction of a tax reform framework to overhaul the U.S. international tax system drafted by Senators Chuck Schumer (D-NY) and Rob Portman (R-OH). "We are deeply disappointed by the Schumer-Portman tax reform framework. If a plan that followed this frameworkwere enacted itwould be a bigwin for some of theworst tax dodging corporations in America, and a huge loss forworking Americans and small businesses."
For the ATF release, go here.
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The Elusive Application of the Rate Disparity Test
Tom Zollo, Jason Hoerner, and Sue Yueqianwu argue that Treasury contradicted its own regulations and prior pronouncements by releasing AM 2015-002 and that the IRS shouldwithdraw the memorandum and considerwhether and how to revise the tax rate disparity test through the issuance of updated regulations.
For the Tax Notes viewpoint, go here. (subscription required)
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Corporate governance: MEPs vote to enforce tax transparency
Large firms and listed companies should have to disclose information, country by country, on profits made, tax paid on profits and public subsidies received, said MEPs onwednesday in amendments to draft rules intended to boost transparency and foster shareholders' long-run commitment to companies. They alsowant to empower shareholders to vote at least every three years on directors' pay policy.
For the European Parliament News story, go here.
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UK Budget cuts corporate tax rate, addresses tax avoidance
The UK Budget, released July 8, 2015, announced a tax rate cut and focused on tackling tax avoidance and aggressive tax planning. Piecemeal changes and new initiatives intend to raise approximately £7bn in revenue, butwith no big headline grabbers.
For the PwC Insight, go here.
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Senators Pitch Tax Changes on Overseas Profits to Fund Highways
Two senior senatorswednesday outlined a plan for overhauling the U.S. system of taxing overseas corporate income, and potentially using the revenue as a source of funding for aging highways and infrastructure.
For thewall Street Journal story, go here.
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Plan to Curb U.S. Taxation of Overseas Profit Finds Bipartisan Support
Two senior senators -- one Republican, one Democrat -- proposed onwednesday that the government significantly reduce the tax rate on United States corporate profits overseas, butwith a mandatory transition tax on such profits to pay for an expansive highway and infrastructure program.
For the New York Times story, go here.
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European Parliament Backs CbC Reporting Measure
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U.K. to Cut Corporation Tax Rate to 18 Percent by 2020
Proclaiming that the U.K. is "open for business," Chancellor of the Exchequer George Osborne on July 8 announced in his summer 2015 budget that the government plans to slash its 20 percent corporate tax rate, already the lowest in the G-20, to 19 percent in 2017, then to 18 percent in 2020.
For thewWTD story, go here. (subscription required)
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U.S. and Vietnam Sign Tax Treaty
The United States on July 7 signed an income tax treatywith Vietnam, the first ever between the two countries.
For the TNT story, go here. (subscription required)
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Report Suggests Consensus on Broad International Tax Issues
The Senate Finance Committee's international tax reformworking group released on July 8 its much-anticipated report,which,while lacking in many finer details, describes a bipartisan framework for reform that includes a dividend exemption system, a potential patent box, and base erosion prevention measures.
For the TNT story, go here. (subscription required)
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U.K. Plans to Further Lower Corporation Tax
In an attempt to make the U.K.'s tax regime even more competitive, U.K. Chancellor of the Exchequer George Osborne announced plans to further lower the corporation tax rate to 19 percent in 2017, and to 18 percent by 2020.
For the BNA DTR story, go here. (subscription required)
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EU Parliament OKs Expanded Country-by-Country Reporting
The European Parliament voted overwhelmingly in favor of expanding the scope of the current European Union country-by-country tax reporting requirement to include all listed companies and non-listed companieswith more than 500 employees.
For the BNA DTR story, go here. (subscription required)
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Tax Working Group Highlights Patent Box, FIRPTA Revisions
The Democratic and Republican co-chairmen of a Senateworking group making recommendations for a tax overhaul said they have come to a broad agreement on changes to international taxes.
For the BNA DTR story, go here. (subscription required)
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Canadian public companies must disclose contingent tax liabilities after Federal Court's BP ruling
Following a Canadian Federal Court (FC) ruling, publicly-listed companies could have to disclose technical analyses of their contingent reserves for potential tax liabilities, leading to fears the information could be used by the Canadian Revenue Agency (CRA) to challenge businesses' tax returns.
For the ITR story, go here.
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Summer Budget: Osborne delivers radical Tory shake-up
Free from the constraints of coalition government George Osborne has delivered a radical Tory Budget announcing huge cuts toworking age benefits offset by a new national livingwage.
For in-depth Financial Times coverage of the new budget, go here.
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Tax Inspectors Shrug Off Borders to Track Multinational Evasion
Step aside, Doctorswithout Borders. A new class of professionals is ignoring national frontiers to come to the aid of economically struggling nations.
A team called Tax Inspectorswithout Borderswill begin helping developing countries dealwith the flood of income to low-tax jurisdictions once it's established nextweek by the United Nations and the Organization for Economic Cooperation and Development.
For the Bloomberg Business story, go here.
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Senators roll out international tax plan
Top senators rolled out a planwednesday to overhaul the United States's decades-old rules on international taxation, a framework they said could also give the nation's roads and bridges badly needed funding.
The long-awaited proposal from Sens. Rob Portman (R-Ohio) and Charles Schumer (D-N.Y.) could help form the core of a deal in one of the increasingly few potential areas for tax reform agreement this year ÔøΩ international rules for businesses that date back to the days of President John F. Kennedy.
For the Hill story, go here.
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Portugal approves new Madeira International Business Centre special tax regime
The Portuguese Parliament has approved the new special tax regime for the Madeira International Business Centre (MIBC). The regime applies to entities licensed to operate in the MIBC between January 1, 2015, and December 31, 2020.
The regime also has been approved by the European Commission as authorized State Aid. That approval protects the regime through December 31, 2027.
For the PwC Insight, go here.
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NYSBA Criticizes Treatment of Non-Ordinary Course Distributions Under Inversions Notice
Provisions in anti-inversions guidance intended to stop the use of certain "slim-down" distributions to avoid taxes are too harsh and need clarification, the New York State Bar Association Tax Section told the government.
At issue is the treatment of "non-ordinary course distributions" under Notice 2014-52, the section said in comments to the Internal Revenue Service and the Treasury Department.
For the BNA DTR story, go here. (subscription required)
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The Tax Inversion Wave Keeps Rolling
When Horizon Pharma PLC completed its takeover of a small, closely held Irish drug company last fall, its timingwas fortuitous.
Horizon, formerly of Illinois, closed its dealwith Dublin-based Vidara Therapeutics International Ltd. in September three days before U.S. regulators cracked down on these tax-beneficial corporate migrations known as inversions. Had the pair been slower to the altar, theywould have been subject to tighter rules that make such overseas mergers more difficult and less lucrative.
For thewall Street Journal story, go here.
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Developing Countries Can't Rely on BEPS Project, Panelists Say
Developing countries need to take action themselves to better their tax systems and can't rely on the OECD's base erosion and profit-shifting project to address the problems they face, panelists said at a July 7 discussion of the impact of tax competition on developing countries and the prospects for global tax reform.
For thewWTD story, go here. (subscription required)
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OECD to Address Cash Boxes Without Special Guidance
OECDworking Party 6 has determined that special guidance isn't needed to address intangibles returns attributed to cash box entities andwill instead rely on the general guidance on intangibles and risk produced through the base erosion and profit-shifting project.
For the TNT story, go here. (subscription required)
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De Ruiter: Special Measures Not Needed To Address BEPS Through Cash Boxes
The international project to fight base erosion and profit shifting has set aside plans to create "special measures" for fighting BEPS in the context of cash boxes, a top Organization for Economic Cooperation and Development transfer pricing official said.
For the BNA DTR story, go here. (subscription required)
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Doing business in the United States - A guide to the key tax issues
For the first time in five years, more global business leaders rate the United States as their most important market for overseas investment and growth ahead of all others, including China's.
PwC's Doing business in the United States provides a broad understanding of the critical tax issues and breaks downwhat they mean for you and your business.
For the new edition of Doing business in the United States, go here.
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ACT Tax Facts: The Administrations Proposed Minimum Tax on US-Headquartered Companies
The international tax provisions in the Administration's 2016 Budget unfortunatelywould further impair the competitiveness of globally engaged US companies by imposing a new foreign minimum tax on US-headquartered companies as part of a half trillion dollar tax increase on these companies over the next 10 years.
For the Alliance for Competitive Taxation fact sheet, go here.
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Uk Summer Budget preview: Tax simpification key for Osborne to unleash investment
Businesseswant George Osborne, the UK chancellor of the exchequer, to make the most of tomorrow's Budget, the first since 1997 to be the exclusive product of Conservative party ideas after its general election victory in May.
For the ITR story, go here.
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U.S. Tax Review (1) (12)
Jim Fuller comments on U.S. tax developmentswith international implications, focusing specifically this month on inversions, proposed changes to the U.S. model income tax treaty, base erosion and profit shifting, permanent establishments relating to action 7, and country-by-country reporting.
For the TNI article, go here. (subscription required)
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OECD Urged to Better Define Hard-to-Value Intangibles
Without a more strictly crafted definition of hard-to-value intangibles in the OECD's draft under action 8 of the base erosion and profit-shifting project, the guidance could lead to greater uncertainty and double taxationwith tax administrations left to interpretwhen ex post information may be used, practitioners said at a July 6 consultation.
For the TNT story, go here. (subscription required)
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OECD Cost-Sharing Draft Doesn't Reflect Third-Party Arrangements
Participants in the OECD's July 6 consultation on cost-sharing arrangements under action 8 of the base erosion and profit-shifting project argued that the draft's emphasis on value over costs does not reflect the practice of third parties in such arrangements.
For the TNT story, go here. (subscription required)
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Advisers Ask OECD to Consider Financing Apart From Debate on Cost Contributions
The international project to combat base erosion and profit shifting should address the issue of financing separately from itswork on cost contribution arrangements, a top business representative said.
The Organization for Economic Cooperation and Development released its non-consensus draft on cost contribution arrangements (CCAs) on April 29 under its 15-item action plan for fighting BEPS. The draft states that value, rather than cost, governs in evaluating CCAs
For the BNA DTR story, go here. (subscription required)
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Deal With BNP Paribas Unit Marks India's First Pricing Agreement in Technology Sector
India's advance pricing agreement program continues to make headway,with the Income Tax Department confirming that an APAwas signedwith an information technology company at the end of JuneÔøΩthe first major APA in this sector.
The unilateral APAwith BNP Paribas Solutions, the local arm of the European bank, is significant because it should pave theway for improving the currently aggressive transfer pricing environment, tax experts say. Sophan Ghar, a senior official in the department, told Bloomberg BNA that information technology and IT-enabled services (ITeS) companies have proved enthusiastic about APAs.
For the BNA DTR story, go here. (subscription required)
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OECD Considering Exemptions for Guidance On Hard-to-Value Intangibles, Hickman Says
The Organization for Economic Cooperation and Development is considering adopting additional exemptions beyond those proposed in its recent discussion draft on hard-to-value intangibles to limit the scope of re-evaluations based on evidence obtained after the fact, an OECD official said.
For the BNA DTR story, go here. (subscription required)
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Revised BEPS PE Proposals: Indeterminate Agents, Principals, and Principles
Richard Collier comments on the OECD's recent proposals on the dependent and independent agent provisions,which he noteswill lead to a material lowering of the permanent establishment threshold.
For thewWTD Viewpoint, go here. (subscription required)
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Tax Justice Advocate Says EU Bank Rules On Country-by-Country Reporting Flawed
Recently approved European Union legislation requiring country-by-country tax reporting by banks and other financial services is flawed and some financial institutions have seized upon the deficiencies to avoid specifyingwhere profits are made andwhere taxes are paid, according to tax reform advocate Richard Murphy.
For the BNA DTR story, go here. (subscription required)
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International Tax News Edition 29 - July 2015
International Tax News is designed to help multinational organisations keep upwith the constant flow of international tax developmentsworldwide. Among the topics featured in this month's edition are:
For the latest issue of International Tax News, go here.