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Economic Analysis: New Data Show So Far No Post-TCJA Profit Shifting to U.S.
In economic analysis, Martin A. Sullivan says that new data show little change in profit shifting by multinational corporations since enactment of the Tax Cuts and Jobs Act, but that it's still early.
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Final DRD Regs Follow Through on Promise to Limit Deduction
TheIRSandTreasuryhave released final regs on thedividends received deduction(DRD), refusing to blink in the face of charges from taxpayers and practitioners that the rules go beyond their authority.
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The GILTI High-Tax Exception: Who Benefits?
Mindy Herzfeld examineswhether, in finalizing regulations implementing the subpart F high-tax exception to items of income thatwould otherwise be tested income taxable as global intangible low-taxed income, Treasury exceeded its statutory authority, subverted congressional intent, and provided a giveaway to corporate taxpayers.
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Why the United Nations Digital Tax Proposal Deserves More Attention
Nana Ama Sarfo looks at the U.N.'s new digital services treaty proposal, how it serves the interests of developing countries, and how it diverges from the OECD's approach.
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Dutch Exit Tax Gains Support but Could Threaten Business Climate
A Dutch bill thatwould impose a conditional exit tax on reorganizations like company transfers and mergers may face legal troubles and have unintended consequences for the business climate.
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MasterCard Escapes Equalization Levy for Now, India Court Says
MasterCardwon't have to pay an equalization levy in India because it already has a permanent establishment there, but its liability may change depending on the outcome of its appeal in a separate court case.
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Top Brazilian Lawmaker Pans Digital Financial Transactions Tax
The speaker of Brazil'sChamber of Deputiesvoiced opposition to the government's plans for a "digital" tax on financial transactions because of its potential similarity to a lapsed financial transactions tax thatwaswidely criticized.
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OECD Pillar 2 Draft Further Maps Out GLOBE Minimum Tax Proposal
AnOECDdraft report on its global anti-base-erosion (GLOBE) proposal charts out significant design progress but has yet to address how itwill coexistwith the U.S. global intangible low-taxed income provision.
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Taxing the Digital Economy: Options, Trade Considerations, and a Solution
In this article, the authors consider four options for taxing the digital economy ÔøΩ tariffs on electronic commerce, VAT, the corporate income tax, and digital services taxes. They examine the potential effects of trade laws on each and propose a solution thatwould allow countries to select a tax that is suited to their needs.
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A New Corporate Tax (1)
In this article, the author argues for the development of a new corporate tax thatwould limit the power and regulate the behavior of our largest corporations,which are monopolies or quasi-monopolies that dominate their fields and drive competitors out of business.
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Brazils Push for a Proper VAT
Robert Goulder examines Brazil's efforts to replace their fragmented consumption tax structurewith a simplified federal VAT.
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Potential $11 Billion in Tax Threatens Unilever Restructuring
A proposed Dutch exit tax on expatriating entities is throwing awrench in the latest attempt byAnglo-Dutch consumer products companyUnileverto simplify its dual-entity structure.
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Amazon Seller Fees to Spike After U.K. DST Becomes Law
Vendors onAmazon'sU.K. sitewill have to pay an extra 2 percent in seller fees because of the controversial U.K. digital services tax, following similar increases in France and Italy.
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Reforming Digital Taxation Amid Antitrust, Trade, and Class Tensions
Mindy Herzfeld discusses digital economy taxation reformwithin the context of antitrust, trade, and class tensions.
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U.N. Committee Members Issue Independent Digital Taxation
Agroup ofU.N.Tax Committee members from developing countries have proposed an approach to taxing digital services income that differs significantly from theOECD's pillar 1 proposal, including in its scope and allocation methods.
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OECD Draft Blueprint Mulls New Pillar 1 Multilateral Convention
Workwill proceed on the development of a new multilateral convention thatwould implement pillar 1 of a proposed global tax overhaul, according to a draft report from theOECD.
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New Detail on OECDs Pillar 1 Proposal Emerges in Draft Report
TheOECD's draft blueprint report on pillar 1 of its international corporate tax reform project reflects significant technical progress on revised nexus and profit allocation rules, but also acknowledges that important questions remain unresolved.
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Amazon Seller Fees to Spike After U.K. DST Becomes Law (1)
Vendors onAmazon'sU.K. sitewill have to pay an extra 2 percent in seller fees because of the controversial U.K. digital services tax, following similar increases in France and Italy.
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OECD To Consider Exemptions For New Tax System In Report
An international consortium of tax officials negotiating a new global taxing systemwill considerwhether to remove prescription drugs from the scope of taxation, aswell as an expanded list of exemptions.
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Dutch Exit Tax Discourages MNEs From Leaving
The Netherlands is expanding its dividendwithholding tax (WHT) regime by adding an exit tax on companies such as Unilever that reorganize and move profit reserves to countries that do not impose Dutch dividendwHT.
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OECD and Brazil Seek Input on Possible Safe Harbor Approaches
TheOECDand Brazilian tax administration have opened a consultation on the adoption of safe harbors in Brazil's transfer pricing regime, part of an effort to gradually align the country's unorthodox systemwith international norms.
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GILTI High-Tax Rules and Foreign Tax Credits
In news analysis, Lee A. Sheppard analyzes the recently released final regulations on global intangible low-taxed income, pointing out that they could pave theway for a per-country foreign tax credit limit for GILTI.
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U.S. FDII Regs Provide a Roadmap for Digital Taxation
Mindy Herzfeld outlines new rules released by the U.S. Treasury as part of the final section 250 regulations.
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Bill to Impose Digital Services Tax Sent to Spanish Senate
Spain's Chamber of Deputieshas approved and sent to theSenatelegislation to enact a digital services tax and a financial transactions tax.
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Full Global Tax Reform Unlikely in 2020, Ex-OECD Tax Forum Head Says
The COVID-19 pandemic may have dimmed the prospects of full global tax reform by the end of 2020, but governmentswill miss a historic opportunity if talks break down, a former tax chief said.
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State Aid Disambiguation: What the Apple Decision Does Not Tell Us About BEPS
Robert Goulder questions the linkage between the European Commission's state aid case against Apple and the OECD's project on the digital economy.
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Kenya's DST Could Force Out Digital Gaints
Multinational enterprises (MNEs) that are struggling to decipher Kenya's vague digital services tax (DST) legislation may decide to exit the country instead of risking non-compliance
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Crunch Time: What the Apple Decision Means for Global Tax Reform
The core of the EUGeneral Court's recentAppledecision may be state aid, but it could raise stakes as countries aim for agreement on global corporate tax reform for the digital age.
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Philippine President Urges Congress to Cut Corporate Tax Rate
PhilippinePresident Rodrigo Dutertehas called onCongressto pass legislation cutting the corporate income tax rate from 30 percent to 25 percent and extending the loss carryover period for most taxpayers to five years.
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Apple: Why the EU Needs a Common Corporate Income Tax
In this article, the author discusses theGeneral Court of the European Union's judgment in theApplestate aid case and its potential impact on how theEUaddresses state aid and tax abuse.
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Why Sweden Should Lobby for a Temporary OECD-Approved Digital Services Tax
In this article, the author argues that theOECD's two-pillar approach to digital taxationwould prove harmful to the Swedish economy and therefore the country should build support for an OECD-approved digital services tax thatwould sunset once an appropriate multilateral solution is developed.
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European Parliament to Renew Push for EU Taxes
Members of theEuropean Parliamentare threatening to reject the 2021-2027 EU budget if member states don't make a clear commitment to introducing new EU-wide taxes to finance it.
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Cost-Sharing Arrangements May Have Less Appeal Post-TCJA
The Tax Cuts and Jobs Act's amendments to the definition of intangible property and codification of the aggregation and realistic alternative principles may discourage taxpayers' use of cost-sharing arrangements in the future.
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U.K. Digital Services Tax Becomes Law, Stoking Trade Tensions
The U.K digital services tax has become law, setting the stage for escalating tradewar tensions between the United Kingdom and the United States,which is investigatingwhether the tax discriminates against American business interests.
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OECD Sketches Out Progress on Global Tax Reform Blueprints
TheOECDhas made good progress on designing a global tax reform plan, but stakeholders may need to be realistic about the prospect of countries agreeing on that plan by year-end, officials said.
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The Trouble With Pillars in International Tax Policy
In this article, the author discusses theOECD's two-pillar approach to taxing the digital economy. He focuses on the narrative of "pillar-building" in international tax policy and the difference between building consensus and manufacturing consent.
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Authority Questions Arise for FDII Heightened Substantiation
Treasury's decision to base its substantiation requirements for some foreign-derived intangible income transactions on those of two other tax code provisions may lead to taxpayers questioning the authority uponwhich it rests.
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BEPS Primer: Past, Present, and Future
In this two-part article, the author updates his examination of the initialOECDbase erosion and profit-shifting project, and he considers the process and potential success of BEPS 2.0. This first installment examines the origin of the BEPS project, its objectives, and how it may proceed in the future. The second installmentwill focus on BEPS 2.0.
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EU Urges Blocking State Aid to Companies in Tax Havens
The European Commission recommended Tuesday that financial support for companies in the future be contingent on their not making use of countries on the European Union's so-called tax haven blacklist.
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OECD Tax Chief Fears Pillar Two Will Not Find Support Without Pillar One
The OECD's two-pillar proposal to address the tax challenges of the digitalized economy are technically different, but it is unlikely that one pillarwould be adoptedwithout the other, according to the OECD's Pascal Saint-Amans.
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Doubts Over Arms Length Pricing Rise Amid COVID-19
By: Joshwhite & Mattias Cruz Cano
Businesses are finding it difficult to dealwith transfer pricing (TP) data and how to apply an arm's length analysis in a global economy that looked completely different just six months ago.
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EU Moves One Step Closer to DAC7 With Anti-Fraud Tax Package 
The European Union (EU) has released a three-pillar approach for fair and simple taxation that includes a 25-point action plan, a seventh iteration of the Directive on Administrative Cooperation (DAC7), and a good tax governance initiative.
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News Analysis: Fair Digital Taxation: In the Eye of the Beholder
Mindy Herzfeld describes the varying opinions onwhat constitutes fair digital taxation, saying most observers agree that current international tax rules don't properly reflect the realities of today's economy and modes of doing business.
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BEPS Initiatives May Hit Ireland Harder Than Expected
TheOECD's base erosion and profit-shifting initiatives and international tax changes may affect Irish corporate tax revenue over the medium term by more than the ÔøΩ2 billion previously estimated by Ireland'sDepartment of Finance.
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Indonesia Defends Digital Tax Plans Against U.S. Investigation
TheIndonesian governmentintends to implement an electronic transaction tax thatwould take into account consensus on a global approach to modernize corporate tax rules, and remains "open to dialogue" about its plans.
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OECD Aims to Have Global Tax Deal Blueprints Ready in October
Work on global tax reform has advanced to the point that blueprints may be ready by October, setting the stage for agreement after the U.S. election, possibly in 2021, theOECD's tax chief said.
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U.S. to Hit Back at French Digital Tax With New Tariffs in 2021
The U.S.will slap extra 25 percent tariffs on $1.3 billionworth of French goods, including handbags and cosmetics, in retaliation against France's digital services taxÔøΩ but those dutieswill be suspended until January 2021.
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Final FDII Regs Offer Significant Changes to Documentation Rules
Treasuryand theIRShave significantly altered the documentation rules for the foreign-derived intangible income provision in their final regs, relaxing them in some circumstances.
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Pillars 1 and 2: African Perspectives
In this article, the authors examine the key elements of theOECD's proposed two-pillar approach to taxing the digital economy from the perspective of African countries.
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EU Renews Support for OECD Digital Taxation Talks
The EU is committed toworkingwith theOECDto address the issue of digital taxation, according to theEU Council's draft terms of reference for the July 18G-20meeting.