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2016

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Global Corporation Tax Levels In Perspective


by Niall McCarthy
Corporate tax is levied on the income or capital of corporations or analogous entitieswith rates varying hugely between countries. Many countries impose it at the national level, though similar taxes are also imposed at state or local level. Based on theweighted average of state rates, the United States has a corporate tax level of 35 percent, considerably higher than most other developed nations around the globe.
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Leprechaun Economics Earn Ireland Ridicule, $443M Tax Bill


by Mark Deen & Dara Doyle
What price does a developed economy pay for posting 26.3 percent growth in a single year? Global ridicule, a renewed focus on its tax system and about 400 million euros ($443 million) a year.
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Spain to Raise 6 Billion Euros Through Corporate Tax Change


by Brett Allan King
Spainwill accelerate the rate atwhich companies must make advance payments of corporate income tax in 2017 and raise 6 billion euros ($6.6 billion) toward meeting European Union public deficit requirements, Acting Economy Minister Luis de Guindos said.
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OECD sets criteria for labeling countries asnon-cooperative tax jurisdictions, previews coming tax guidance


by Julie Martin
At the G20's behest, the OECD has identified objective criteria for determining if a country is "non-cooperative" tax jurisdictionwith respect to tax transparency, Pascal Saint-Amans, Director of the OECD Centre for Tax Policy and Administration, said during a July 12 OECDwebinar. OECD officials also discussed plans to release further tax and transfer pricing guidance.
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Brexit: Implications for indirect taxation and cross-border trade


The UK's VAT rules could change after an EU exit, meaning charges for imports and exports between the UK and EU member states. Preferential customs and duty rates in the single market could also end upon leaving the EU Customs Union.

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Australian federal election: What it means for tax


Malcolm Turnbull haswon the Australian federal election to remain as Prime Minister, but the lack of a strong majority is likely to giveway to political uncertainty around planned corporate tax measures.

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Brexit: Withholding taxes ahead for businesses


Multinational enterprises are consideringwhether to move their UK headquarters to one of the remaining 27 EU nations, aswithholding taxes could be charged once EU laws cease to apply.

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Singapore proposes laws to enact CRS and CbCR


The Inland Revenue Authority of Singapore (IRAS) is consulting on draft laws to introduce a number of corporate taxation changes announced in the 2016 Budget.

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STOP SAYING 'DOUBLE NON-TAXATION'


by Molly Moses
It's time to stop saying "double non-taxation." Yes, I knowwhat you're trying to invoke, but there's noway to keep it from sounding sillyÔøΩorworse, like something out of 1984.
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Treasury Releases Four Letters on Earnings-Stripping Rules

  • By FOIA

The Treasury Department released four letters on controversial earnings-stripping rules under provisions of the Freedom of Information Act, for theweek ending July 10.

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Ireland, Home to U.S. Inversions, Sees Huge Growth in G.D.P.


by David Jolly (The New York Times)
In the United States, politicians, lawmakers and officials have derided ''inversion deals,''which allow an American company to move its headquarters overseas to cut its tax bills. In Ireland, they are celebrating them.
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KPMG: Canada Still Has Edge in Tax Competitiveness


by Alex M. Parker
Canada has maintained its edge in tax competitiveness, according to a biennial survey from KPMG LLP.
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OECD to Propose Issuing Noncooperative Jurisdiction List in 2017


by Stephanie Soong Johnson (Tax Notes)
The OECDwill advise G-20 finance ministers at their upcoming meeting to adopt criteria to identify jurisdictions that fail to complywith international tax transparency standards, but to delay publishing the list until 2017 to allow jurisdictions to take corrective measures.
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Ireland Economy Grows as U.S. Companies Chase Lower Taxes


by Dara Doyle
Ireland's economy expanded by more than a quarter last year as companies moved their tax address to the island nation.
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OECD Will Review Relevant' Countries' Tax Policy Compliance


by Rick Mitchell
The OECDwill review some economically "relevant" non-member countries for compliancewith minimum standards under the international project against corporate tax avoidanceÔøΩeven if those countries decline to participate.
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EU Council Formally Adopts Antiavoidance Directive

  • By J.P. Finet

by J.P. Finet
The EU Council has adopted the anti-tax-avoidance directive 2016wTD 134-12: EU Council Directives as amended by the council in June.
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Musings on Portfolio Interest Exemption & Economic Substance


by Oscar Grisales-Racini (Tax Notes)
In this article, Grisales-Racini explores the interactions of three concepts: traditional planning and the so-called portfolio interest exemption; the economic substance doctrine in light of its recent codification; and the new global order predicated on substance in cross-border transactions.
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Low Hopes, Heightened Rhetoric on Eve of Debt-Equity Reg Hearing


by Amy S. Elliott (Tax Notes)
The government received about 200 unique comments in response to the proposed debt or equity regulations and 18 requests to speak at the July 14 public hearing, but the continued resolve of Treasury officials to proceedwith the goal of finalizing the regs has led to a rare joining of forces in the tax bar.
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Cash Pooling Exception Likely in Final Debt-Equity Rules: PwC


Bloomberg

by Alison Bennett
The Treasury Department is likely to include some form of exception for cash poolingwhen it finalizes controversial earnings-stripping rules, a PricewaterhouseCoopers LLP tax practitioner said.
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UK plans to cut 20% corporate tax rate


The UK plans to cut the corporation tax rate to the lowest of any major economy to attract businesses and investment post-Brexit, sparking concerns in the European Union that this could give the UK tax-haven status and trigger a 'race to the bottom'.

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EU Parliament votes on fairer taxation measures


The EU is a step closer to introducing an EU-widewithholding tax on company profits leaving the bloc, aswell as several new compliance and tax rules.

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US corporate tax cuts possible under Republicans' tax reform proposals


In a development that could reshape the US tax system, the House Republicans released a long-awaited tax reform blueprint to simplify the country's federal tax structure.

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Consolidating Acquired IP -- A U.S. Inbound Perspective


by Michael Steinsaltz
In this report, Steinsaltz surveys the landscape of partnership and corporate structures available for U.S. inbound companies thatwant to consolidate acquired intellectual property, noting recent tax law changes and options for the future.
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OECD Issues Follow-Up Draft on Limiting Interest Deductibility


Bloomberg

by Alex M. Parker
An OECD discussion draft outlined more details about the formula the organization recommends to cap interest deductibility as part of its effort to combat international tax avoidance.
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EU to Adopt Anti-Tax Avoidance Plan Despite Concerns


European Union finance ministers are set to formally adopt landmark legislation July 12 designed to clamp down on corporate tax evasion by rubber-stamping the Anti-Tax Avoidance Directive (ATAD) that includes measures to limit company interest deductions and impose exit taxation rules.
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Human rights law and the obligation of countries to cooperate on tax matters


by Aldo Caliari
When discussing tax policy a common tendency used to be to treat it as an exclusively domestic policy matter, one towhich only the prerogatives and obligations of the Statewhere the respective taxes are to be collected are relevant. Reality could be nothing further from the truth, as demonstrated by the amounts of revenue that get lost to tax evasion and avoidance by international actors because of their ability to straddle across a diversity of national jurisdictions.
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Rep. DeFazio to Propose Financial Transactions Tax


Bloomberg

by Laura Davison
Rep. Peter DeFazio (D-Ore.) is scheduled to introduce a plan to levy a 0.03 percent tax on most financial trades as he seeks to curb high-frequency trading.
The legislation, set to be introduced July 13, "will discourage risky trading behaviors that put everyday Americans' investments on the line and is expected to collect over $417 billion in revenue in the next decade," according to a July 11 statement from DeFazio's office.
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Treaty Overrides Where the Code's Legislative History Is Silent


Bloomberg

by Thomas S. Bissell
CPA Thomas Bissell considers tax code Section 7852(d)(1) and its effectwhere new revenue laws conflictwith pre-existing tax treaties. Bissell looks at how statements of legislative intent controlÔøΩincluding some made "retroactively"ÔøΩand questions raisedwhen none is apparent.
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OECD announces further developments in BEPS implementation

  • By OECD

Today the OECD has released (i) a discussion draftwhich dealswith the design and operation of the group ratio rule under Action 4 of the BEPS Action Plan, and (ii) standardised IT-format for the exchange of tax rulings (ETR) between jurisdictions – the ETR XML Schema – under BEPS Action 5. The OECD alsowelcomes Angola and the Seychelles as the 83rd and 84th members of the Inclusive Framework on BEPS.

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News Analysis: Will Brexit Unleash a Tax Haven?


by Ajay Gupta
A United Kingdom outside the European Union couldwell seek to counter any resulting loss in London's cachet as the center of international commerce by racing to the bottom on corporate taxes -- slashing the rate and exploiting the newlywon independence from Brussels to offer special one-off arrangements.
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Proposed Debt-Equity Regulations: What Problem Are We Solving?


by Peter B. Marrs
In this report, Marrs explains how the per se stock rule in the proposed section 385 regulationswould broadly apply to many ordinary course transactions, and he recommendsways for Treasury to narrow the scope of the regulationswhile more effectively addressing its concerns about U.S. earnings stripping and untaxed foreign repatriations.
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Presumptive British PM Slams Corporate Tax Dodging


by Stephanie Soong Johnston
U.K. Home Secretary Theresa May,who is poised to take over as prime minister on July 13, came out swinging against tax avoidance by large multinational corporations, vowing to crack down on the practice under her leadership.
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OECD Releases Draft on Groupwide Ratio Rule for Interest Expense


by Ryan Finley
The OECD's new discussion draft on the design and implementation of a groupwide ratio rule provides options for how to fill in the gaps left by the base erosion and profit-shifting report on action 4.
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U.S. Treasury Chief Lew Set for Apple Tax Showdown With EU


by Stephanie Bodoni & Aoifewhite
U.S. Treasury Secretary Jacob J. Lew is set to meetwith European Union antitrust chief Margrethe Vestager thisweek as she prepares to deliver a final verdict on a probe into Apple Inc.'s tax affairs in Ireland.
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May Pledges Corporate Crackdown as Osborne Courts Wall Street


by Alex Morales & Simon Kennedy
U.K. Home Secretary Theresa May pledged to crack down on corporate irresponsibility if she succeeds David Cameron as prime minister, as Chancellor of the Exchequer George Osborne headed towall Street on Monday to shore up investor confidence.
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Financial Giants Lobby Treasury to Ease Debt-Equity Rules


Bloomberg

by Alison Bennett
Some of the nation's biggest financial services companiesÔøΩincluding Citigroup Inc., Bank of America Corp. and JPMorgan Chase & Co.ÔøΩare all urging the Treasury Department to give them a break under controversial earnings-stripping rules.
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Cyprus revises tax treaty with India, ratifies new tax treaties, announces 2016 NID yields, and expedites ruline process

  • By PwC

by PwC
The Cyprus government has reported several important tax developments thatwill affect multinational enterprises doing business in Cyprus.
Regarding tax treaties:
  • The Cyprus government on June 30, 2016, announced that it completed negotiations and reached an agreement inwriting for a revised tax treaty between Cyprus and India.
  • The first tax treaty between Cyprus and Bahrain, signed on March 9, 2015, entered into force on April 26, 2016, andwill take effect on January 1, 2017.
  • The first tax treaty between Cyprus and Latvia, signed on May 24, 2016,was ratified by Cyprus on June 3, 2016. The treatywill take effect on January 1 of the year after the countries complete the legal formalities to bring the treaty into force.
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Speaker Paul Ryan And Chairman Kevin Brady Produce A Tax Blueprint To Make America Great Again


by Ralph Benko
Late last month, barely reported by the media amid all the general political static, something really amazing happened. Houseways and Means Chairman Kevin Brady released a truly great tax reform plan.
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Paris urges London to stay tax 'friendly' post Brexit

  • By Times Live

by Times Live
Amid fears of a fiscal "race to the bottom" French Finance Minister Michel Sapin on Monday slammed British plans to reduce corporation tax as part of plans to keep attracting foreign investment after last month's Brexit vote.
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Businesses warn that proposed Treasury tax rule goes too far


by Joseph Lawler
In a desperate attempt to stop companies from moving their headquarters out of the U.S. to avoid taxes, the Obama administration is advancing a rule that businesseswarn could have far-reaching consequences for many kinds of firms.
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Better Process Sought for Commentary on OECD Model Treaty


by Rick Mitchell
Thework to develop a multilateral treaty underwhich countries can quickly adopt recommendations from the OECD's international action plan to combat corporate tax avoidance should include an effort to modernize theway OECD commentary is developed, practitioners said.
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Debt-Equity Rules Generate Hottest Tax Talk in Years


by Laura Davison and Alison Bennett
Treasury's proposal to overhaul how intercompany debt is documented and characterized has drawn the most spirited reaction to tax regulations in recent memory, as some lawmakers and business groups try to pare down rules they saywould be detrimental.
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News Analysis: The Impact of Brexit on U.S. Tax Planning


by Marie Sapirie
In the long term, Brexit could have dramatic consequences for tax planning if the United Kingdom decides to diverge significantly from EU tax policies, but for now, U.S. multinationalswith subsidiaries in the United Kingdom may stickwith the status quo.
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Flurry of Debt-Equity Reg Comments at Deadline Despite Glitch


By Amy Elliott (Tax Notes)
The deadline for submitting comments on the proposed section 385 debt or equity regulations (REG-108060-15 2016 TNT 65-11: IRS Proposed Regulations) passed July 7 amid multiple reports that thosewhowaited until the last minute to submit comments or request to speak at the July 14 public hearing had to contendwith sporadic technical difficulties at regulations.gov.
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News Analysis: Brexit Creates Tax Uncertainties


by Mindy Herzfeld
The future of U.K. tax policy is one of many uncertainties that have emerged following U.K. voters' decision to exit the European Union. For now, it's unclearwhen or evenwhether the countrywill leave, let alone the terms of any breakup.
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BEPS Action 13: Be Prepared for an Era of Transfer Pricing Transparency in Indonesia


by Permana Adi Saputra
Permana Adi Saputra of PB Taxand looks at how the OECD/G-20 base erosion and profit shifting Action Planwill affect transfer pricing regulations and documentation requirements in Indonesia. "Indonesiawill need to incorporate the guidelines into domestic regulations in order to enforce the Action Plan," hewrites.
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Business seeks greater role in crafting multilateral instrument to implement BEPS tax measures

  • By MNE Tax

by MNE Tax (Multinational Tax & Transfer Pricing News)
The OECD on July 4 released 33 comment letters received in response to its discussion draft on the development of a multilateral instrument to implement the tax treaty provisions in the final OECD/G20 base erosion profit shifting (BEPS) plan reports.
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Plan to Curb Tax-Inversion Deals Could Go Too Far


by Gina Chon (New York Times)
There's a harmful flip side to the push against tax-inversion deals in the United States. The Treasury Department's latest plan to curb tax-motivated overseas mergers takes aim at inter-company loans. It is a good idea to curb this so-called earnings stripping. The proposed rule is broad, however, and could hurt normal funding practices.
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Stakeholders Call for MLI Text to Be Made Public


Business stakeholders and tax practitioners called for the text of the OECD's multilateral instrument (MLI) to be made public, saying that providing technical analysis of the MLIwas difficultwithout seeing the actual language used.
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Investment Likely to Plummet Under Debt-Equity Rules: Groups


Bloomberg

Investment by both U.S.-based and foreign-based multinational companieswould drop like a rock under the IRS's controversial rules to combat earnings stripping, two major business groups said.
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