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U.S. Group Warns French Tax Implementation Will Be Difficult
By Tax Analyst
"I urge France to focus their energies on reaching a consensus solutionwithin the OECD's Inclusive Framework for a sustainable international tax system that recognizes innovation and production and minimizes the adverse impact of the costs of double taxation on business investment and growth," said Bill Sample, chair of United States Council for International Business Tax Committee, following the announcement that Francewill implement a digital services tax.
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Durbin, Reed Announce Anti-Inversion Legislation
By Tax Analyst
The Stop Corporate Inversions Act and the American Business for American Companies Actwould "end the corporate shell game that allows some companies to shift their address abroad" to avoid taxes by imposing various measures to stop inversions, Senate Democraticwhip Richard J. Durbin of Illinois and Sen. Jack Reed, D-R.I., said in a July 17 release.
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Harter Says Tax System Will Not Abandon Arm's-Length Principle
By Ryan Finley
Any new international tax regime that emerges from the OECD'swork on taxing the digital economywill continue to rely heavily on the arm's-length principle, according to the Treasury Department's top international tax official.
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Germany Readies R&D Tax Incentive Program
By Johannes Frey
Johannes Frey and Florian Schmid examine recently released draft legislation thatwould introduce a new research and development tax incentive regime into German law.
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EU Issues Political Guideline Agenda for Commission Presidential Candidate
By Tax Analyst
Ursula von der Leyen said shewill review the EU energy tax directive, reform the international corporate tax system, make the common consolidated corporate tax base a reality, and continue the fight against tax fraud in the political guideline agenda issued on behalf of her candidacy for president of the European Commission.
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CJEU Decisions on Tax Avoidance and Conduits: More Questions Than Answers
By Barry Larking
Barry Larking considers recent CJEU judgments that develop a general solution to tax avoidance, analyzes the Court's reasoning and how it has defined the general tax avoidance rule, and suggests some practical implications going forward.
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Perrigo Seeks to Turn Back Government's Sham Doctrine Arguments
By Tax Analyst
A drug company, supporting its motion for partial summary judgment in a U.S. district court, countered the government's assertions that the company's assignment of a contract to a limited liability companywas not an economic sham and that the outcome of its refund case should turn on section 482 transfer pricing issues.
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Plaintiffs Fire Back in Transition Tax Regs Small Business Suit
By Andrew Velarde
Plaintiffs in a suit challenging the validity of the transition tax are seeking to make legal history in taking aim at the Justice Department's argument that the controversy should be dismissed for lack of jurisdiction.
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Norway's Adevinta Says New French Digital Tax May Hit Earnings
Online advertising group Adevinta said the newly introduced digital tax in France lacked clarity butwould likely hit the Norwegian company's earnings as it posted second-quarter earnings roughly in linewith expectations. France's Senate gave final approval to a tax on big technology firms on Thursday. The 3% levywould apply to digital revenues from digital services earned in France by firmswith more than 25 million euros ($28 million) in French revenue and 750 million eurosworldwide. It is due to kick in retroactively from the start of 2019.
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Beware. Other Nations Will Follow France With Their Own Digital Tax.
Last Thursday, the French Senate passed a digital services tax,whichwould impose an entirely new tax on large multinationals that provide digital services to consumers or users in France. Digital services include everything from providing a platform for selling goods and services online to targeting advertising based on user data, and the tax applies to gross revenue from such services. French politicians and media outlets have referred to this as a "GAFA tax," meaning that it is designed to apply primarily to companies such as Google, Apple, Facebook and Amazon ÔøΩ in otherwords, multinational tech companies based in the United States.
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US Fleshes Out Trade Case Against France's Digital Tax Plan
The U.S. on Monday offered more detail on its investigation of France's plan to raise taxes on foreign tech companies thatwas announced lastweek, laying out exactlywhich aspects of the plan it believes may run afoul of global trade rules. Following U.S. Trade Representative Robert Lighthizer's July 10 announcement of the probe, his office has formally launched an investigation to determinewhether the French "Digital Services Tax" planwould hurt American technology companies.
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Cryptocurrency, cost basis and taxation
Cryptocurrencies are still capturing the attention of investors, traders and enterprises around the globe, lauded for their potential as a radically transformative force on the existing financial playing field. But legal systems are yet to catch up.
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Survey results: Untangling CFC regimes
Multinational businesses are simplifying structures to navigate the rules that target controlled foreign corporations (CFCs) and their shareholders. ITR asked those tax headswho have adopted this approach to share their business's operational changes.
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Von Der Leyen Takes Aim at U.S. Tech Giants' Low Tax Bill in Europe
Germany's Ursula von der Leyen, seeking to become the first female head of the European Commission, has said shewants U.S. tech giants to pay "fair taxes" in the EU instead of gaming the different systems across the bloc to cut their bills. If she shouldwin the European Parliament's backing for the job, and implement the policy, it could further strain ties between the European Union and the United States, already troubled by differences over trade, antitrust and politics.
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Cryptocurrencies, Digital Tax Top Agenda for G-7 Meeting
Finance officials from the Group of Seven rich democracieswillweigh risks from new digital currencies and debate how to tax tech companies like Google and Amazonwhen they meet at a chateau north of Paris startingwednesday. Those issues, raised by the impact of digitalization on theworld economy, are at the top of the agenda for a two-day gathering hosted by French Finance Minister Bruno Le Maire and including U.S. Treasury Secretary Steven Mnuchin.
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Beware the digital tax trap
The business tax reforms embedded in the Tax Cuts and Jobs Act (TCJA)remain the crown jewel of the Trump administration's economic policy. They are part of the reason that year-over-year macroeconomic growth has ramped up from 1.3 percent in the second quarter of 2016 to over 3 percent in early 2019, that labor productivity growth has rebounded to 2.4 percent in the first quarter of 2019 and that there is reason to expect an upshift from the previous trend growth rate of 2 percent or below. That crown jewelwill be at riskwhen Treasury Secretary Mnuchin attends thisweek's G7 Finance Minister summit in France.
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France Starts a Digital Tax War
Rule No. 1 for international economic affairs ought to be "Don't give Donald Trump a legitimate excuse for a tradewar." French President Emmanuel Macron missed the memo,which explainswhy Paris is pushing a new digital tax that even the Germans don'twant for Europe. The digital services tax approved by the National Assembly lastweek imposes a 3% levy on sales by global tech companies in France. If the companies have no profits, theywill still pay the tax. The theory is that 80-year-old global agreements that tax profits in a company's home country are outdated in the digital era.
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EU Issues Competition Policy Report
By Tax Analyst
The European Commission explores challenges in the digital economy, protection of price competitionwith EU antitrust rules, and the fight against selective tax advantages in the competition policy 2018 report issued July 15.
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OECD Consults on Tax Treaty Dispute Resolution Process
By Tax Analyst
The Organization for Economic Cooperation and Development has encouraged taxpayers to complete a mutual agreement procedure questionnaire as part of the ongoing peer review process under action 14 of the BEPS Action Plan; comments on MAP access and availability of relevant guidance should be submitted by August 12.
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Countries Should Boost Environmental Taxes, OECD Says
By Stephanie Soong Johnston
The OECD has recommended that countries increase green taxation and eliminate harmful tax breaks to not only ensure sustainable growth but also reduce pollution and protect the environment.
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U.K. Pushes Ahead on Beneficial Ownership Transparency
By Stephanie Soong Johnston
The United Kingdom intends to introduce legislation in the next parliamentary session thatwould set up a public register of property beneficial ownership information so that it starts operating in 2021.
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Mexico to Cut Pemex's Tax Bill to Increase Output
Bywilliam Hoke
Mexico's state-owned oil company, Petroleos Mexicanos (Pemex),will see its tax liability reduced if a proposal announced by President Andrés Manuel López Obrador is approved by the country's congress.
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German Panel Urges CO2 Pricing in Transport, Building Sectors
By Annagabriella Colon
The German Council of Economic Experts has delivered a report to Chancellor Angela Merkel highlighting the need for temporary carbon pricing in the transportation and building sectors until the EU emissions trading system is updated.
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Bangladesh Enacts Corporate Tax Breaks for Manufacturers
By Slim Gargouri
Bangladesh's Finance Act 2019 entered into force July 1, providing partial corporate income tax exemptions for selected manufacturing sectors and establishing new rules regarding dividends and retained earnings.
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ICAP as a Tool for Addressing the Digital Economy
By Mindy Herzfeld
Mindy Herzfeld discusses the OECD's International Compliance Assurance Program for real-time risk assessment between taxpayers and multiple tax administrations simultaneously, askingwhether it can offer options for addressing taxation questions raised by the digital economy.
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TCJA-Altered Landscape Keeping Firms from Relocating
By Nana Ama Sarfo
In news analysis, Nana Ama Sarfo looks at the tax landscape for inversions post Tax Cuts and Jobs Act and in light of the AbbVie/Allergan announcement.
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GILTI Loser Problem Solved ?
By Lee A. Sheppard
Lee A. Sheppard explains how the presence of GILTI canwipe out tax attributes andwhy an election to exclude high-taxed income from CFC tested income (thus potentially decreasing GILTI) may make sense for some shareholder taxpayers.
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UK PM Candidate Johnson Urges Tax on Global Tech Giants
Boris Johnson, the leading candidate to replace Theresa May as British Prime Minister, said on Thursday the government had to find away to tax global technology giants on their income.
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How to Avoid a Big Tax Bill in the Year of M&A
When one company seeks to buy another, shareholders of the target company often applaud an immediate run-up in value. But beware: deals can also comewith a huge tax bill unless you're careful. This year has brought a bumper crop of mergers. U.S. merger volume jumped 27% to a record of about $1 trillion in the first half of 2019 comparedwith the same period in 2018, according to data from Dealogic. Not all of this year's dealswill generate big tax bills, but many could.
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Greek Conservatives Take Charge in Landslide Win, Vow More Investment, Fewer Taxes
Greece's opposition conservatives returned to powerwith a landslide victory in snap elections on Sunday, and Prime Minister elect Kyriakos Mitsotakis said he had a clear mandate for change, pledging more investments and fewer taxes.
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India Plans To Tax Super-Rich, Leaves Corporate Rate Alone
India's recently reelected government has presented the first budget of its new term, promising to increase taxes on very rich individuals to as much as 42.7%while mostly holding the line on corporate tax rates.
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U.S. Launches Probe of French Digital Tax
U.S. trade officials are launching a probe of France's planned tax on digital services, kicking off a spatwith Paris aswell as a global fight over how to tax the growing internet economy. U.S. Trade Representative Robert Lighthizer saidwednesday his officewould launch a probe of the digital services tax, or DST, under the same broad law the Trump administration relied on for its trade conflictwith China.
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Global minimum taxation: A matter of time
Minimum tax red flags have appeared in recent legislation as countries and organizations race to address perceived inequitieswithin the international tax regime.
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U.K. Proposes Draft DST Legislation Containing Double Tax Relief
By Ryan Finley and Stephanie Soong Johnston
The United Kingdom has released draft legislation on its 2 percent digital services tax proposal,which allows a deduction for revenue subject to tax in multiple countrieswhile offering some relief for unprofitable activities.
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Time Is Ripe for Brazil to Mull OECD Transfer Pricing Reforms
By Stephanie Soong Johnston
Brazil may be ready to harvest the fruits of a joint projectwith the OECD as it considers two options to bring its transfer pricing regime in linewith OECD standards.
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Lawmakers Warn of Effect of Digital Services Tax on Trade Pacts
By Jad Chamseddine
Lawmakers from both parties are questioning plans by France and the United Kingdom to impose a digital services tax on U.S. multinational technology companies,warning that doing sowould threaten trade negotiations.
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German Banks Seek Relief From Dividend Equivalent Payment Rules
By Tax Analyst
The German Banking Industry Committee and the German Derivatives Association have again raised concernswith aspects of the section 871(m) rules that they say create a disproportionate burden for some German financial institutions, seeking to reach a long-term solutionwith Treasury as full implementation of the rules.
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Québec Joins Fight Against Federal Carbon Tax
By Annagabriella Colon
Québécoise Minister of Justice and Attorney General Sonia LeBel confirmed that the provincewill join Saskatchewan's fight against the Greenhouse Gas Pollution Pricing Act ÔøΩ and more specifically, the federal carbon tax ÔøΩ before Canada's Supreme Court.
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Can the U.K. Digital Services Tax Address the Digital Economy?
By Sandy Bhogal
Sandy Bhogal discusses the United Kingdom's proposed digital services tax in the context of OECD and EU efforts to address the perceived tax concerns arising from the digitalization of business.
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CJEU to Consider General Court Judgment Annulling Belgian State Aid Decision
By Tax Analyst
The Court of Justice of the European Union has published the reference for a case (C-337/19 P) onwhether the Court should overturn a General Court of the European Union judgment (T-131/16 and T-263/16 (GCEU 2019)) that annulled a November 2015 European Commission decision (C(2015) 9837 final) that Belgium's "excess profit" tax scheme violated EU state aid rules by granting selective advantages to multinational corporations.
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U.N. Releases Updated Tax Treaty Negotiation Manual
By Annagabriella Colon
The U.N.'s 2019 tax treaty negotiation manual contains several changes reflected in its updated model tax treaty, including revisions developed as part of the OECD's base erosion and profit-shifting project.
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Narrow Types of CFCs Subject to Interest Deduction Limit, Firm Says
By Tax Analyst
Steptoe & Johnson LLP has asked that the proposed section 163(j) business interest deduction limit not apply to controlled foreign corporations that earn no effectively connected income or that Treasury consider alternatives, such as adopting the firm's recommended safe harbors or applying section 163(j) only to CFCswith specified characteristics.
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New Incentives for U.S. Companies to Bring Intangible Property Home
By B. Anthony Billings, Kyungjin Kim and Santanu Mitra
B. Anthony Billings, Kyungjin Kim, and Santanu Mitra explain the incentives and operation of the global intangible low-taxed income and foreign-derived intangible income provisions under the Tax Cuts and Jobs Act and recently proposed regulations.
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Principles Matter in Digital Economy Tax Debate, Panelists Say
By Andrew Goodall
Discussing the OECD's efforts to find a global solution to tax the digital economy, tax professionals stressed the importance of establishing agreed principles and finding the right balance between simplicity and accuracy.
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Collected Comments on Proposed Regs: FDII and GILTI Deductions
By Tax Analyst
The IRS has scheduled a July 10 public hearing on proposed regulations (REG-104464-18) that provide guidance on the deduction for foreign-derived intangible income and global intangible low-taxed income under section 250.
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U.K. Consults on Hybrid Capital Instruments Regulations
By Tax Analyst
HM Revenue & Customs has published draft regulations to ensure that new rules on the taxation of hybrid capital instrumentswork as intended for instrumentswith a takeover or change of control clause; the consultation period closes August 9.
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French National Assembly Passes DST Bill
By Teri Sprackland
The French National Assembly has passed a bill to introduce a digital services tax,which is expected to receive final approval from the Senate July 11.
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Hungarian Turnover Tax Doesn't Violate EU State Aid Rules, AG Says
By Tax Analyst
Advocate General Juliane Kokott in Tesco-Global Áruházak Zrt. v. Hungary, C√¢$323/18, advised the Court of Justice of the European Union that a Hungarian progressive turnover tax does not violate EU state aid rules or infringe on freedom of establishment.
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Cross-Border Tax Dispute Settlement System Launches in Europe
By Jennifer Mcloughlin
A new mechanism designed to facilitate faster resolution of tax disputes between EU member states took effect July 1.
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Misperceptions Fueled Anti-BEPS Debate, EU Study Says
By Elodie Lamer
The debate that fueled anti-tax-avoidance measures at the international levelwas poorly informed, and corporate tax increases can only harm revenues collection, growth, and employment, according to an EU advisory body study.