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2019

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India's New Profit Attribution Proposal and the Arm's-Length Standard

  • By Reuven S. Avi-Yonah and Ajitesh Kir

Tax AnalystsBy Reuven S. Avi-Yonah and Ajitesh Kir

Reuven S. Avi-Yonah and Ajitesh Kir discuss a recent Indian public consultation document on amending the rules for profit attribution to permanent establishments and askwhether it might indicate a larger movement away from the arm's-length standard toward a unitary tax system.

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U.K. Lawmakers to Test Crown Dependencies" Transparency Promises

  • By Stephanie Soong Johnston

Tax AnalystsBy Stephanie Soong Johnston

The British crown dependencies' pledges to pass legislation by 2023 to publish their beneficial ownership registers seem like a transparencywin, but U.K. lawmakerswill test those promises before decidingwhether to pass enforcement legislation.

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Federal Carbon Tax Constitutional, Ontario Court of Appeal Holds

  • By Annagabriella Colon

Tax AnalystsBy Annagabriella Colon

The Court of Appeal for Ontario in a 4-1 decision held that Canada's Parliament had the constitutional authority to enact the Greenhouse Gas Pollution Pricing Act to address matters of national concern.

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U.K. Drafts Double Taxation Dispute Resolution Regs

  • By Tax Analyst

Tax AnalystsBy Tax Analyst

HM Revenue & Customs has issued the draft Double Taxation Dispute Resolution Regulations 2019,whichwould implement Council Directive (EU) 2017/1852 of October 10, 2017, on tax dispute resolution mechanisms in the EU; interested parties should respond by August 27.

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Glencore Vows to Consolidate or Eliminate Tax Haven Subsidiaries

  • By William Hoke

Tax AnalystsBywilliam Hoke

Glencore PLC, one of theworld's largest natural resources and commodities firms, said it is reviewing its use of subsidiaries in tax havenswith the intention of consolidating or eliminating as many as possible.

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Cross-Border Tax Dispute Settlement System Launches in Europe (1)

  • By Jennifer Mcloughlin

Tax AnalystsBy 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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G-20 Leaders Greenlight OECD BEPS 2.0 Roadmap

  • By Stephanie Soong Johnston

Tax AnalystsBy Stephanie Soong Johnston

Leaders of theworld's biggest economies endorsed the OECD's "ambitiouswork program" to get global agreement on a solution to tax the digital economy by 2020, promising to intensify their efforts to reach that goal.

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EU Issues Nike State Aid Opening Decision

  • By Tax Analyst

Tax AnalystsBy Tax Analyst

The European Commission has issued an opening decision for Nike's European tax arrangements, finding that the Netherlands' advance pricing agreements to two Dutch companieswere based on flawed applications of the transactional net margin method and therefore constituted state aid.

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Luxembourg Issues Updated Patent Box Guidance

  • By Ryan Finley

Tax AnalystsBy Ryan Finley

Luxembourg's tax administration has released a circularwith guidance on the country's amended patent box regime adopted in 2018, including details on the asset and income eligibility rules and documentation requirements.

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Finnish EU Presidency Favors Global Solution to Digital Taxation

  • By Teri Sprackland

Tax AnalystsBy Teri Sprackland

Digital taxation remains the most contentious issue as the EU Council presidency shifts from Romania to Finland,which favors an OECD-led approach.

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Dutch Conduits Cut MNEs" Royalty Taxes by 1.2 Billion Euro a Year

  • By William Hoke

Tax AnalystsBywilliam Hoke

Routing royalty payments through Dutch special purpose entities allowed multinational enterprises to avoid roughly 1.2 billion Euro of tax a year, according to a recently published academic study.

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EU Tax-to-GDP Ratio Is Up Again

  • By Amanda Athanasiou

Tax AnalystsBy Amanda Athanasiou

EU tax revenueswere higher in 2017 than in the previous decade, and the tax burden on labor hit a historic high that year, according to a new report on tax trends across the EU.

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G-20 Leadership Needed to Forge Path Toward BEPS 2.0 Accord

  • By Stephanie Soong Johnston

Tax AnalystsBy Stephanie Soong Johnston

Countries face difficult obstacles as theywork toward a unified approach on the reallocation of taxing rights, but G-20 political leadershipwill be necessary for a global solution in 2020, the OECD's chief said.

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Hybrid Regulations: Overreach or Underdone?

  • By Carrie Brandon Elliot

Tax AnalystsBy Carrie Brandon Elliot

Carrie Brandon Elliot reviews how the unintended consequences of hybrid regulations can reflect overreach as applied to notional interest deductions and group relief, and incompleteness as applied to inclusions under the global intangible low-taxed income and subpart F regimes.

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Tax heads: DSTs are not illegal or discriminatory


A panel of tax experts surveyed by International Tax Review say digital services taxes (DSTs) are distortive and must be temporary - but few thought theywere illegal or discriminatory.

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The negative aspects of ICAP


While feedback on the International Compliance Assurance Program (ICAP) has been overwhelmingly positive, unsurprisingly,the first pilot did encounter some teething problems.

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Senate Panel Approves 4 Bilateral Tax Treaties


The Senate Foreign Relations Committee on Tuesday approved four bilateral tax treaties, rejecting an effort by Sen. Rand Paul, R-Ky., to include more privacy protections for Americans in the agreements. The committee approved by voice vote tax treatieswith Spain, Switzerland, Japan and Luxembourg and voted down Paul's proposed amendment to the bilateral treatywith Spain thatwould have raised the standard the U.S. government must meet to request or share taxpayer information under the agreement.

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Companies Win - Somewhat - as Treasury Trims Reach of Minimum Tax


Businesses are getting helpÔøΩbut not everything theywantedÔøΩas the Treasury Department addresses one of the biggest corporate frustrationswith the 2017 tax law. Under a new rule proposed earlier this month, Treasurywould make it easier to escape a minimum U.S. tax thatwas supposed to hit only companieswith low foreign taxes but also ended up affecting those operating in high-tax countries. Once the rule is final, U.S.-based companies could choose to have subsidiarieswith tax rates of at least 18.9% excluded from that minimum tax.

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OECD won't rush ICAP expansion despite scheme's popularity


The OECD's Achim Pross says his ultimate aim is to expand the International Compliance Assurance Programme (ICAP), but companies may be disappointed to learn that it could be a relatively slow process.

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Americans Demand Climate Action (as Long as It Doesn't Cost Much): Reuters Poll

  • By Reuters

Nearly 70 percent of Americans, including a majority of Republicans,want the United States to take "aggressive" action to combat climate change - but only a thirdwould support an extra tax of $100 a year to help, according to a Reuters/Ipsos poll releasedwednesday.

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G20 Will Discuss Minimum Tax for IT Companies: Germany

  • By Reuters

A compromise position on minimum levels of corporate taxation for IT companieswill be discussed at thisweekend's G20 meeting of leading economies in Japan, a German government official said onwednesday, adding that their hopewas that final agreements could be reached by the end of 2020.

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Dutch Government Presents Measures to Cut Carbon Emissions

  • By The Associated Press

The Dutch government presented Friday awide-ranging raft of measures ÔøΩ from a carbon tax for business to more bicycle parking at railway stations ÔøΩ that aim to slash by a half by 2030 the Netherlands' emission of carbon.

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Few expect digital tax breakthrough by 2020


Tax experts have told ITR that they do not expect the OECD to achieve consensus on new tax rules by 2020, or maybe ever.

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Hungary Hooks European Court's Approval of Advertising Levy

  • By Jennifer Mcloughlin

Tax AnalystsBy Jennifer Mcloughlin

The European Commission fell short in swaying support for its decision that Hungary's progressive advertising tax violated EU state aid rules.

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GILTI, Subpart F Regimes Warrant Legislative Consideration

  • By Emily L. Foster

Tax AnalystsBy Emily L. Foster

Congress should contemplate legislation to address policy issues regarding the 2017 tax law's international tax regime, pending the release of tax return data and the OECD's proposal on minimum taxes, according to a congressional staffer.

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FTT Countries Could Receive at Least €20 Million Each

  • By Elodie Lamer

Tax AnalystsBy Elodie Lamer

France and Germany have proposed a method for the "mutualization" of financial transaction tax revenues thatwould ensure that each of the 10 participating countrieswould get at least ÔøΩ20 million.

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U.K. Government Appeals Against EU State Aid Decision on CFCs

  • By Andrew Goodall

Tax AnalystsBy Andrew Goodall

The United Kingdom government has appealed against the European Commission's decision that an exemption from the U.K. controlled foreign company rules for intragroup interest granted a selective advantage and constituted state aid.

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French Lawmakers Reach Compromise to Advance DST

  • By Stephanie Soong Johnston and Teri Sprackland

Tax AnalystsBy Stephanie Soong Johnston and Teri Sprackland

France's Senate and National Assembly have ironed out compromise legislation for a digital services tax,which includes a provision seeking clarification onwhether the European Commissionwould raise state aid issues.

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U.S. Congress Looks to Roll Back Executive Tariff Authority

  • By Annagabriella Colon

Tax AnalystsBy Annagabriella Colon

Congress may step in to reevaluate and limit the constitutional authority it has been sharingwith the executive branch regarding tariffs, and Rep. Earl Blumenauer, D-Ore., said he expects bipartisan support for a restriction.

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EU Divided Over Minimum Effective Taxation

  • By Elodie Lamer

Tax AnalystsBy Elodie Lamer

Both the European Parliament and the EU Council cannot agree internallywhether to further discuss the need for minimum effective taxation.

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Treasury Releases P&G Presentation for OECD Working Group Discussion

  • By Tax Analyst

Tax AnalystsBy Tax Analyst

Treasury has released a draft slide presentation submitted by Procter & Gamble for discussion purposeswith an OECDworking group.

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Fix Needed for Treatment of NOL Taxpayers Under BEAT Regs

  • By Tax Analyst

Tax AnalystsBy Tax Analyst

Treasury has released an individual's alternative proposal for the treatment of pre-2018 net operating loss taxpayers, asserting that the current section 59A regulations place otherwise identically situated taxpayers in significantly different economic positions for base erosion antiabuse tax purposes solely through the presence or absence of a net operating loss.

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Individual Raises Issues With FDII, GILTI Regs

  • By Tax Analyst

Tax AnalystsByTax Analyst

Treasury has released an individual's comments that address issues under proposed foreign derived intangible income and global intangible low-taxed income regulations (REG-104464-18) regarding person and foreign use requirements in some situations and the foreign use exploitation rule.

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Taxpayers Encouraged to "Kick Tires" of GILTI High-Tax Exclusion

  • By Jennifer Mcloughlin

Tax AnalystsBy Jennifer Mcloughlin

U.S. officials selected the prospective effective date for a proposed high-tax exclusion under the global intangible low-taxed income provision to allow time to test the exception.

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IRS's GILTI Partnership Pivot Could Mean Big Changes

  • By Andrew Velarde

Tax AnalystsBy H.David Rosenbloom

The IRS and Treasury's change of approach in newly proposed regs navigating partnerships under the global intangible low-taxed income provision could result in significantly less income inclusions for some taxpayers.

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GILTI Regs Make Room for High-Tax Exclusion

  • By Andrew Velarde

Tax AnalystsBy H.David Rosenbloom

The proposed regulationswould allow domestic shareholders of a CFC to elect to exclude from gross tested income amounts that have been subject to foreign tax at an effective rate that exceeds 90 percent of the U.S. rate.

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EU FTT Is a "Political Laboratory," Moscovici Says

  • By Elodie Lamer

Tax AnalystsBy H.David Rosenbloom

Reaching an agreement on a financial transaction tax (FTT)would serve as a "political and institutional laboratory," said EU Tax Commissioner Pierre Moscovici, noting itwould mark the first tax directive adopted through enhanced cooperation.

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T Danmark: A Milestone CJEU Decision on Abuse of the Parent-Subsidiary Directive

  • By Andrea Iannaccone

Tax AnalystsBy H.David Rosenbloom

the author examines two cases regardingwithholding tax exemptions on dividend and interest payments recently resolved by the Court of Justice of the European Union.

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Can the U.K. Digital Services Tax Address the Digital Economy?

  • By Sandy Bhogal

Tax AnalystsBy H.David Rosenbloom

the author discusses the United Kingdom's proposed digital services tax in the context of OECD and EU efforts to address the perceived tax problems arising from digitalization.

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New Incentives for U.S. Companies to Bring Intangible Property Home (1)


Tax AnalystsBy H.David Rosenbloom

B. Anthony Billings, Kyungjin Kim and Santanu Mitra Teaser: The authors examine the GILTI and FDII provisions of the Tax Cuts and Jobs Act, aswell as the proposed regulations on GILTI and FDII, and explain how taxpayers can maximize their FDII deductions.

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China's Surprising Silence on Digital Taxation

  • By Yue"Daisy"Dai

Tax AnalystsBy H.David Rosenbloom

China has not announced any plan to join the DST club, and it has not released any opinion on the digital tax debate. This article looks at China's digital economy, its developing tax system, and the powers shaping the digital tax debate to answer the reasons behind.

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How Imported Mismatch Payment Rules Can Create Double Taxation

  • By Carrie Brandon Elliot

Tax AnalystsBy H.David Rosenbloom

Carrie Brandon Elliot describes how imported mismatch payment rules in the section 267A proposed regulations can disallow deductions for payments that are included in the U.S. tax base under GILTI or subpart F, possibly creating double taxation.

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CFC Shareholder Issue Lurks in Participation Exemption Regs

  • By Jennifer Mcloughlin

Tax AnalystsBy H.David Rosenbloom

New temporary regulations relating to the dividends received deduction might have consequences under recent guidance on income inclusions for some controlled foreign corporation shareholders.

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Locating Sales: FDII Regs Address Questions OECD Workplan Must Answer

  • By Mindy Herzfeld

Tax AnalystsBy H.David Rosenbloom

Mindy Herzfeld examines attempts to allocate more multinational profits to market jurisdictions, pointing out thatwhile the recently proposed U.S. regulations on FDIIwill have to split the pie only between foreign- and U.S.-generated income, the OECD's taskwill be much harder.

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The Grim Reaper of Treaties?

  • By Lee A. Sheppard

Tax AnalystsBy H.David Rosenbloom

Lee A. Sheppard discusses pending tax treaties and protocols in the U.S. Senate and how the chamber might finally be taking action to ratify agreementswith Hungary, Switzerland, Luxembourg, and others.

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U.S. Carbon Tax Could Fit with WTO Obligations, Report Says

  • By Tax Analyst

Tax AnalystsBy H.David Rosenbloom

Lee A. Sheppard discusses pending tax treaties and protocols in the U.S. Senate and how the chamber might finally be taking action to ratify agreementswith Hungary, Switzerland, Luxembourg, and others.

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Poland Accepts Foreign Market Data, Rules Out Secret Comparables

  • By Ryan Finley

Tax AnalystsBy H.David Rosenbloom

At least for purposes of enforcing pre-2019 law, Poland's tax administrationwill not refer to secret comparables or require that taxpayers use domestic transactions or companieswhen applying the selected transfer pricing method.

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In Search of Legislative History

  • By H.David Rosenbloom

Tax AnalystsBy H.David Rosenbloom

H. David Rosenbloom notes that a proposed elective exclusion of high-tax non-subpart F income from tested income contained in recent proposed regs has no statutory basis.

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Poland Accepts Foreign Market Data, Rules Out Secret Comparables (1)

  • By Ryan Finley

At least for purposes of enforcing pre-2019 law, Poland's tax administrationwill not refer to secret comparables or require that taxpayers use domestic transactions or companieswhen applying the selected transfer pricing method.

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Poland Accepts Foreign Market Data, Rules Out Secret Comparables (2)

  • By Ryan Finley

At least for purposes of enforcing pre-2019 law, Poland's tax administrationwill not refer to secret comparables or require that taxpayers use domestic transactions or companieswhen applying the selected transfer pricing method.

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