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Why NGOs are pushing back against the OECD
The OECD has the difficult task of building a consensus between competing nations, but it also faces the critical eye of NGOs convinced that the proposals do not go far enough.
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Indonesia Explores Taxation of Digital Services Companies
Indonesian Minister of Finance Sri Mulyani Indrawati said her government is exploring how to taxdigital companies that don't have a permanent establishment in the country.
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Treasury Makes Good on Promise to Ease Inversion Rules
Treasury and the IRS announced plans to substantially modify the anti-inversion debt-equity fundingrules, alongwith issuing final regulations that remove the documentation rules.
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ECOFIN to Address Digital Taxation, VAT Fraud
Finance ministerswill discuss the state of play of international discussions related to digital taxationand agree on new rules to tackle VAT fraud in e-commerce at the upcoming Economic and Financial AffairsCouncil meeting.
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OECD Should Tax Multinationals As One Entity, Group Says
The OECD should propose taxing multinational groups as one entity to prevent tax leakage, according to a report recently issued by a public-sector trade union group.
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Heritage Foundation Blasts US, OECD Global Tax Project
By Alex M. Parker
A report from the conservative Heritage Foundation called Tuesday for the U.S. Treasury Department towithdraw from a global initiative to overhaul international tax rules.
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Many EU States Want To Check Legality Of Minimum Tax
A number of European Union stateswant to check the legality under EU law of a possible minimum corporate tax,which is a key part of an international effort to reform.
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The Case for Tax Integration and Current-Base Taxation
ByNir Fishbien
In this paper, the author calls for the adoption of a Dividends-Paid Deduction form of tax integration and for current-base taxation of foreign earnings. The author argues that the already reduced corporate tax rate (21%), combinedwith tax integration,will provide a significant relief from the relatively high burden of corporate double taxation, allowing U.S. multinationals to better compete in the global economy.
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India Lacks Resources to Settle Disputes With Treaty Partners: OECD
India may lack adequate resources to meet the OECD's recommended two-year period to settle tax disputes involving multinational companies in treaty partner countries, the organization said.
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China Tax Agency Announces Measures Concerning DTA Benefits for Nonresidents
The Chinese State Administration of Taxation Oct. 14 announced new measures concerning corporate income tax and personal income tax advantages for nonresident individuals and corporations under DTAs signed by mainland China, Hong Kong, and Macao.
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INSIGHT: Transfer Pricing Controversy Takeaways of the Starbucks State Aid Case
The General Court of the European Union recently annulled the European Commission's decision that Starbucks' advance pricing agreementwith the Netherlands constituted unlawful state aid. Monique van Herksen of Simmons & Simmons explainswhy the outcome is not as reassuring as it might appear.
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INSIGHT: Malaysia's Service Tax on Imported Digital Services from 2020√¢$Be Prepared
With less than three months before service tax on imported digital services is implemented in Malaysia, Yvonne Beh and Sarah Sheah, ofwong & Partners, look atwhat foreign service providers should be doing now to prepare.
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EU Push for Public Tax Reports Stalls Again Minus German Support
European Union efforts to force large companies to publicly report the taxes they pay on a country-by-country basis have been stopped dead after Germany declined to back the legislation.
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INSIGHT: Implementation of Retroactive Transfer Pricing Adjustments in China
Retroactive transfer pricing adjustments in China are becoming increasingly feasible, and multinational corporations have the incentive to make them. Dr. James Zhao and Alina Huang of Deloitte China explain recent developments and share their observations.
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Boiling Starbucks" Roasting Down to the Essence of its Residual
ByWilliam Byrnes
This paper address two issues related to the EU decision in the Starbucks state aid case: the properway to allocate the residual between SMBV and Starbucks intermediary IP management limited partnership, and how to allocate the residual among Starbucks' global value chain.
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Turkey Proposes a Digital Services Tax, Personal Income Tax Hike
Turkey's government has proposed several revenue-raising measures, including a digital services tax, an increase in income taxes for high earners, and new residential property and hotel accommodations taxes.
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UK election puts the financial transaction tax on the agenda
The UK financial sector could face a financial transaction tax (FTT) among a raft of tax reforms if the Labour Partywins the upcoming snap general election.The UK has an SDRT rate of 0.5% on share trading,which raised £3.5 billion ($4.5 billion) in 2017/18. Labour's proposalwould expand this to include transactions involving corporate bonds, equity and credit derivatives, raising an extra £2.1 billion in annual tax revenues.
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EU Needs Comprehensive Digital Approach, Vestager Says
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UK Soft On Corp. Tax Dodging Despite Pledge, Watchdog Says
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Digital tax is poor fix for corporate tax avoidance
France made some bignewsrecently in theworld of global taxation. It enacted a tax targeting large U.S. tech companies – including Facebook, Amazon, Google and Apple – that are earning massive global profits. For years these multinational enterprises have avoided paying corporate taxes in the U.S., thanks to shell operations in tax havens like the Bahamas and the Cayman Islands. But France is tired of seeing these companies get awaywith large-scale tax avoidance.It's not just France, however. More than 20 European countries are poised to impose digital taxes on large U.S. tech companies.
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House passes bill taking aim at anonymous shell companies
The House on Tuesday passed legislation aimed at cracking down on the use of anonymous shell companies for illicit activities. The bill passed by a vote of 249-173. Twenty-five Republicans joined most Democrats in voting for the bill,while five Democrats voted against it.
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German Official Urges National, Int'l Action On Tax Avoidance
Both national and international action are necessary to end tax practices that,while legal, are still unfair, the German finance minister said recently, praising aEuropean Uniondisclosure requirement his country is due to adopt by year-end. Under the requirement, companieswould have to notify authorities of legal tax avoidance strategies, Olaf Scholz, the finance minister, said duringa conference for German tax consultants in Berlin on Monday.
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U.S. Retaliation Still Looms in French Digital Tax Talks (1)
President Donald Trump's administration still might double U.S. taxes on French taxpayers and companiesÔøΩeven as negotiatorswork towards a broader international solution.
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France Tax Agency Seeks Comments on Implementation of Digital Services Tax on Large Companies
The French General Directorate of Public Finance Oct. 16 opened a consultation on the implementation of a 3 percent tax on all revenue linked to France for large companies engaging in digital advertising, online platforms, or user data sales.
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Developing Countries Need More Time on Global Tax Plan: Advocates
Developing countrieswant to slow down the OECD's digital tax project so they have time to understand its effect on their revenueÔøΩbut pausing itwould lead to tax chaos, the OECD's chief tax officialwarned.
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State Aid and Tax√¢$Starbucks and Fiat Cases
Over the last five years or so, the European Commission has been using competition law, and in particular the state aid rules, to challenge favorable tax regimes and tax rulings given by some member states to particular multinationals. Catherine Robins of Pinsent Masons looks at the recent decisions of the General Court in the Starbucks and Fiat cases.
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INSIGHT: U.K.'s Digital Services Tax√¢$Where Are We?
James Ross of McDermottwill & Emery looks at the current factors influencing the implementation of the U.K.'s digital services tax.
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United Kingdom Parliament Considers Statutory Instrument to Clarify Financial Instruments for Hybrid Mismatches
The United Kingdom Parliament Oct. 15 accepted for consideration a statutory instrument to implement an EU directive clarifying the definition of financial instruments for hybrid mismatch arrangement purposes. The draft instrument includes: 1) reporting procedures for tax periods that fall outside the effective date range, and 2) the exclusion of certain financial instruments.
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European Union Gazettes Order Updating EU List of Non-Cooperative Tax Jurisdictions
The European Union Official Gazette Oct. 17 published an order updating the EU list of non-cooperative tax jurisdictions. The order includes measures: 1) removing the United Arab Emirates from the black list; 2) removing Albania, Costa Rica, Mauritius, Serbia, and Switzerland from the gray list; and 3) moving Marshall Islands to the gray list from the black list.
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G20 finance ministers back OECD push to tax profits of multinationals
Meeting inwashington, the G20welcomed the recent progress and the announcement lastweek of an OECD initiative to find a compromiseway of taxing profits, particularly of tech giants. Its suggestionwas to rip up almost a century of taxing profits according to the physical presence of a company in a jurisdiction and move to one that gave countries greater taxing rights dependent onwhere saleswere located.
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Trump Says Only US Should Tax Its Tech Giants, Not France
President Donald Trump onwednesday again criticized France's digital services tax, saying that only the U.S. should be allowed to tax its tech companies.
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GILTI May Still Create Constitutional Issues For States
As the dust settles around the federal tax overhaul, states that have largely avoided touching companies' global intangible low-taxed income may still be treating foreign earnings differently from their domestic counterparts inways that could violate the U.S. Constitution. Most states have simply decoupled from the federal provision for GILTI or they've recognized the earnings as dividends that qualify for a 50% deduction under Section 250 of the Internal Revenue Code, and in some cases more than that. Earlier this month, Louisianawent a step further and issued a revenue bulletin stating that itwould recognize GILTI earnings as fully deductible dividends, essentially declining to tax this type of income at all.
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Agreement on BEPS 2.0 Expected in June 2020, OECD tax Chief Says
The OECD hopes to hammer out details of its proposal to adapt the international tax rules for the digital age in January and reachpolitical agreement in June, the organization's tax chief said.
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Energy and Carbon Taxes Fall Short of Full Potential, OECD Says
Energy-related carbon dioxide emissions reached new heights in 2018, but governments are not doing enough to take advantageof environmental taxpolicies to curb the problem, according to a new OECD report.
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Collecting the Rent: The Global Battle to Capture MNE Profits
ByMitchell Kane, Joseph Bankman and Alan Sykes
This paper offers a comparative assessment of the policy instruments that governments might employ to collect a share of rents from non-resident MNEs that operatewithin their borders. The paper beginswith tax instruments, discusses recent attempts to expand those instruments, and then expands the analysis to antitrust policy, state-owned enterprises, price regulation, and various instruments of trade policy. The goal is to identify the strengths andweaknesses of different instruments in different contexts.
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An Alternative Solution for France's Digital Services Tax
ByJeff Ferry, Bill Parks, Arpan Dahal
France's new digital services tax aimed at internet companies has raised good questions about the best system fortaxing corporate income in the internet age.
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Hypothetical Distribution, Part 2: Determining Pro Rata GILTI Items
Carrie Brandon Elliot reviews how hypothetical distribution rules for determining pro rata shares of subpart F income are modified todetermine pro ratashares of GILTI items.
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TCJA Corrections: Some Technical, Some Not
In the second in a series reviewing provisions that could be included in upcoming tax legislation, Mindy Herzfeld looks at recentproposals to addressboth extenders and technical corrections to the Tax Cuts and Jobs Act.
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Court Sustains European Commission's Meddling in Transfer Pricing
In news analysis, Lee A. Sheppard examines the Starbucks and Fiat state aid cases, both decided by the General Court of theEuropean Union, askinghow to reconcile the different outcomes
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Extending Carbon Taxes to All Emissions Would Boost Revenue: OECD
Countries are far from doing enough to tax carbon emissions, especially outside of road transport, the OECD said.
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Shipping Industry Pushes for Exemption from OECD Tax Plan
A rewrite of international tax rules for the modern digital economy shouldn't apply to shipping businesses, a shipping industry group said.
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Countries Can Better Tax Gains from Offshore Sales: Economists
Developing countries often lose revenuewhen they can't tax capital gains from sales of assets in their country made offshoreÔøΩbut they could close those gaps, two IMF economists said.
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Tech Groups Press U.S. to Fight Mexico's Digital Tax Plan
Mexico's lawmakers are preparing to vote on boosting tax collection from digital companies, and major U.S. tech industry groups are trying to enlist the U.S. government to fight the effort.
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Tech Giants Hit With Digital Tax Under Italian Budget Plan
Italywill join France and Austria in taxing tech giants such as Apple Inc. and Facebook Inc. starting in 2020, the government said Oct. 16 in its budget plans.
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United Kingdom Tax Agency Issues Policy Paper on Amendments to Offshore Intangible Income Legislation
The United Kingdom HM Revenue and Customs Oct. 14 issued a policy paper on amendments to offshore intangible income legislation,which taxes the income received by entities in low tax jurisdictions from U.K. sales of intangible property.
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Digital Service Taxes and the Broader Shift From Determining the Source of Income to Taxing Location-Specific Rents
Market countries that use novel tax instruments, such as properly designed digital services taxes (DSTs) to expand their capacity to reach such location-specific rents, are not acting unreasonably.whether they prove permanent or merely transitional, DSTs look like harbingers of a new era inwhich entity-level corporate taxation rightly focuses more on locational rents, and less on decades-old doctrinal and semantic debates concerning the supposedly "true" source of economic income and value creation.
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INSIGHT: OECD Work Programme√¢$the Wider Implications (Part 1)
By Ceinwen Rees and Rhiannon Kinghallwere
The OECD has produced a "work programme" to address the tax challenges presented by the digital economy. In this two-part article, Ceinwen Rees and Rhiannon Kinghallwere of Macfarlanes look at the proposals in the OECD programme,with particular focus on the implications for investment managers, and respond to some of the most frequently asked questionswhich arise.
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INSIGHT: OECD Work Programme√¢$the Wider Implications (Part 2)
By Ceinwen Rees and Rhiannon Kinghallwere
With the Organisation for Economic Development and Co-operation (OECD) proposals in the early stages of negotiation there are more questions than answers.we have tried to answer here a few of the questionswe are commonly asked.
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Digital Tax Plans Will Boost Countries with Largest Markets: OECD
By Hamza Ali
Large market countries like India and Chinawill see their tax coffers boosted under OECD plans to improve the taxation of companieswithin the fast-growing global digital economy.
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EU Finance Chiefs Agree to Keep U.S. Off Tax Havens List
By Joe Kirwin
European Union finance chiefs agreed Oct. 10 to not list the U.S. as a tax haven, despite the country not meeting the bloc's criteria for the automatic exchange of foreign residents' bank data.