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South Korea Reduces Stock Transfer Tax Rates
The South Korean government said itwill lower the stock transaction tax rate for shares traded on two major exchanges by 0.05 percentage point.
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European Tax Cooperation Program Gets Financial Backing
European officials have agreed to maintain funding for an information exchange program designed to curb tax dodging during the EU's next long-term budget period.
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Tax Systems May Need to Adapt to Nonstandard Work, OECD Says
Nonstandardwork,which is on the rise in many countries, could have significant implications for tax revenues and raises serious questions aboutwhether and how tax systems should adapt accordingly, a new OECD paper says.
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Australia Forgoes Interim Digital Tax, Will Wait for OECD Action
Australiawill not be joining the bandwagon of countries considering their own digital taxes, butwill insteadwait to seewhat comes of multilateral efforts coordinated by the OECD for taxing the digital economy.
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The Updated Cross-Border Ruling Policy in the Netherlands
In this article, the authors discuss the Netherlands' effort to overhaul its international tax ruling policy.
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Merkel-If No Global Deal on Digital Tax by Second-Half 2020, Europe Should Go Ahead
German Chancellor Angela Merkel said on Tuesday that if therewas no international agreement on taxing digital companies by the second half of next year, Europe should go ahead anyway.
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US tax reform turns into a game of 'whack-a-mole'
For global corporations, determining how to complywith the US tax reform provisions and manage tax liabilities is difficult because as soon they resolve one tax problem, another pops up.
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ABA Tax Section Comments on Various Issues Under Proposed FTC Regs
Eric Solomon of the American Bar Association Section of Taxation has submitted comments on proposed regulations (REG-105600-18) that provide guidance on the determination of the foreign tax credit, suggesting that some provisions be reconsidered and others clarified.
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European Parliament's TAX3 Committee Publishes Final Report
The European Parliament's Special Committee on Financial Crimes, Tax Evasion, and Tax Avoidance (TAX3) has published its final recommendations after concluding its one-year mandate.
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U.S. Treasury Hoping to Release PTI Regs by Early Fall
The U.S. Treasury has updated its timeline for the release of proposed regs on previously taxed income, now targeting the end of summer or early fall.
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Canadian Budget Steps Up Action Against Tax Evasion, Avoidance
Canada is clamping down on tax evasion via the real estate sector, limiting stock option deductions for employees of large corporations, strengthening its international tax rules, and enhancing beneficial ownership data availability.
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Poland Warns of More National Digital Taxes Absent EU Agreement
Polish Prime Minister Mateusz Morawiecki suggested that a lack of consensus among EU member states on a digital tax regime could lead to more unilateral measures.
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The Arm's-Length Standard Enters Its Second Century
In this article, the author discusses issues regarding the arm's-length standard and its viability in today's evolving tax environment.
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Member States' Proposed Digital Taxes Could Clash With EU Treaty
While some member states are moving rapidly to implement digital taxes that the EU failed to agree on as a community-wide directive, observers say such national laws conflictwith the EU's freedom of establishment clause.
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Making Waves: OECD Navigates Debate on Tax Rules for Digital Age
Stephanie Soong Johnston delves into the OECD's March public consultation at its headquarters in Paris,where some of the taxworld's brightest minds gathered to discuss adapting the international tax rules for the digital age.
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EU Report Examines Effect of CCTB Directive on Corporate Tax Burdens
The European Commission has released a report by the Centre for European Economic Research analyzing the possible impacts of the draft common corporate tax base directive of October 2016 on the effective corporate tax burdens in EU member states.
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EU Joint Transfer Pricing Forum to Continue Profit-Split Work
In light of the profit-split method's potentially expanded role under a new regime for taxing the digital economy, the EU Joint Transfer Pricing Forum (JTPF)will exploreways to improve the method's clarity and simplicity.
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Final Regs Reverse Proposed Mutual Fund Income Rules
Final regulated investment company rules clarify the treatment of subpart F and passive foreign investment company income inclusions, reversing Treasury and theIRS's 2016 proposed regulations.
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BEPS Measures Called 'Interim Step' for Developing Countries
Despite international progress on profit shifting, there are still policy gaps concerning opaque offshore ownership structures and corporate tax avoidance that are costing developing countries needed tax revenue.
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OECD Minimum Tax Triggers Nerves Over National Sovereignty
The potential impact of a global minimum tax proposal on countries' taxing sovereigntywas a commonly raised issue during the OECD's public consultation.
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Old Domestic Production Rules May Find New Life With FDII
Similarities between regulatory language in the foreign-derived intangible income provision and section 199 guidance could mean that regs under the defunct statutewill inform taxpayers on applying FDII's foreign use rule for general property.
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Can the OECD Fix the BEAT?
Mindy Herzfeld examinesways to help the United States fix its flawed base erosion and antiabuse tax, saying the OECD's recent consultation document might offer a favorable path.
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EU Competition Head Unlikely to Rule on UK Tax Probe This Month
European Union regulators are unlikely to rule by the end of March onwhether a UK tax scheme for multinationals breaches EU rules on state aid, Europe's competition chief said on Thursday. The European Commission opened an investigation in October 2017 into the scheme,which exempts multinationals from UK taxes.
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UK Spring Statement proposes no major tax changes
The UK Chancellor of the Excheuquer, Philip Hammond, refrained from making any tax proposals in today's Spring statement, but the government continues to push aheadwith its digital services taxwhile global talks take place in Paris.
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MNEs accept higher tax burden is inevitable at OECD digital consultation
Corporate tax heads at the OECD digital tax consultation in Paris admitted that theywould need to bow to political pressure and accept potentially painful reforms.
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Consumer businesses clash over OECD digital tax proposals
MNEs specialising in consumer products prefer to 'cherry-pick' provisions they favor from the OECD's digital tax proposals, creating a conflict among them on the est approach to taxing the digital economy.
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Sweden Wants a Bank Tax That 'Really Hits' the Right Targets
Sweden's governmentwants to revisit the idea of imposing a tax on the financial industry. Finance Minister Magdalena Andersson says her goal is to have a levy that singles out bankswith far more precision than previous proposals.
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OECD Digital Tax Plan Needs More Clarity, Multinationals Say
The OECD needs to better definewhat types of incomewould be targeted by new proposals to revamp how multinationals are taxed, the business communitywarned in letters to the group. The OECD is considering four ideas as it seeks a globally agreed-upon solution by 2020 to address some countries' concerns that multinationals aren't paying their fair share of tax, or aren't paying it in the right places.
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European Plan to Tax Stock Trades Closer to Becoming Reality
Traders of European shares may face a new tax bill as finance ministers edge closer to an agreement in long-running talks on a financial-transaction tax.
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An overhaul of the international tax system can wait no longer
The public perception that large multinational companies pay little tax has led to political demands for urgent action. The easewithwhich multinationals seem able to avoid tax and the three-decade-long decline in corporate tax rates compromise faith in the fairness of the international system. Recent international efforts ÔøΩ notably through the G20 and OECD ÔøΩ have made it harder for multinationals to shift profits to low tax rate locations. But vulnerabilities remain.
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India Physical Presence Tax Ruling Is Boon to Foreign Companies
Multinationals looking to stay out of India'swidening tax net may have a new tool: A recent ruling that quashed authorities' attempts to tax income from a company based outside India.
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Global Minimum Tax Proposal May be Premature, Companies Tell OECD
A global minimum tax proposal to rewrite international tax rules for the modern economy may be unnecessary, companies and practitioners told the OECD at a public consultation in Paris. But if the OECD does move forwardwith the plan, it must be simple if it is towork, according to a range of speakers from businesses, non-governmental organizations, and academia.
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France's Prime Minister Says 'Overall' Taxes Must Come Down
French Prime Minister Edouard Philippe has said raising taxes isn't the solution to the issues that have been raised in a national debate launched by President Emmanuel Macron.Taxes "are high enough, they must come down," Philippe said on Europe 1 radio.while some taxes could be raised if others are lowered, Philippe says, "I can't believe that the only adjustment tool to resolve our country's problems is fiscal policy."
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EU Agrees to Restrict Cross-Border Mergers That Aim to Lower Tax
Companies that engage in cross-border mergers to lower their tax bill are likely to be stopped in their tracks as EU countries are set to have new powers to reject such moves.
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Fundamentals of Tax Reform: Domestic Provisions, Common Myths
In the fourth of a four-part series on the fundamentals of tax reform, James Atkinson and Kimberly Majure debunk five myths arising from the domestic provisions of the 2017 tax law and their interactionwith the law's international provisions.
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India Will Sign Deal With U.S. to Share Global Tax Reports
India and the U.S. have reached an agreement to start exchanging country-by-country reports that disclose inwhich countries multinationals earn profits and pay their taxes.
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Eaton Loses Argument on Foreign Owners' Earnings Calculation
The earnings and profits of an upper-tier controlled foreign corporation's partners must be increased due to a domestic partnership's income inclusions, the U.S. Tax Court ruled Feb. 25. The IRS determined Eaton Corp. owed tax deficiencies and penalties for 2007 through 2010 for failing to include correct gross income amounts. The reported amountswere underestimated by millions because Eaton didn't increase the earnings and profits of its upper-tier CFC partners, the IRS said. Eaton argued that the domestic partners' inclusions, under tax code Section 951(a), didn't affect the earnings and profits of its upper-tier CFC partners.
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Ireland Remains Opposed to Adopting EU Digital Tax
Irish Finance Minister Paschal Donohoe has told French Finance Minister Bruno Le Maire that Ireland doesn't support the European Commission's proposal for a temporary digital advertising tax.
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US and France accelerate plans to make global tech groups pay tax
The US and France have said theywant industrialised countries to reach a deal on global tax reform this year to ensure that tech companies pay reasonable levels of corporation tax in the countrieswhere they operate.
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Digital Tax Proposals Must Consider Losses, PepsiCo Exec Says
The OECD should look at the risks companies assume and the losses they incur as it searches for solutions to the global tax debate on the digital economy, a PepsiCo Inc. executive said Feb. 28.
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Crown dependencies face crackdown on secret companies
Jersey, Guernsey and the Isle of Man face a financial transparency crackdown, after Conservative MPs ambushed prime minister Theresa May to demand an end to secret company ownership. The three crown dependencies are exempt from EU rules requiring countries to publish registers of the real owners of companies. Transparency campaigners argue that the lack of disclosure has aided large-scale money-laundering. In a letter to supportive MPs, Mr Mitchell and Dame Margaret accuse the crown dependencies of acting "as secret tax havens facilitating economic crime, tax and avoidance and tax evasion", and cite the Panama Papers as evidence.
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Investments Face Scrutiny After EU Tax Ruling
A European court ruling could mean taxpayerswith investments involving "beneficial ownership" structures could facewithholding taxes because the structures are deemed tax abusive.
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France to Unveil Digital Tax Plan Next Week, Says Minister
Francewill unveil its plan to tax digital companies during nextweek's cabinet meeting, French Finance Minister Bruno Le Maire said March 1.
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IRS Pricing Agreement Program Issues New Tool for Special Cases
Multinational companies seeking advanced intercompany pricing agreementswith the IRS may need to fill out a new government Excel toolwith their financial data for special cases, the Internal Revenue Service said.
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EU Countries Called 'Two-Faced' Over Whistleblower Rules
Five European Union countries stand accused of blocking rules thatwould allow company employees to report illegal activities involving tax avoidance and aggressive tax planning to the media or other external groups.
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Eaton's Foreign Owners Subject to Same Principles Governing Domestic Corporations' Earnings and Profits
Robertwillens discusses Eaton Corp.'s failed attempt to argue that three controlled foreign corporations,whichwere upper-tier partners in a U.S. partnership,weren't subject to the same requirements for calculating earnings and profits as domestic corporations.
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The OECD's Global Anti-Base Erosion Proposal Raises Many Questions
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Luxembourg Tax Reform- Whats Changing in 2019? (Part 2)
Part 2 of this two-part Insight continues a review of the tax reforms introduced in Luxembourg,with a focus on how they address the anti-hybrid mismatch rules, exit taxation, and other anti-BEPS measures.
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Tax Windfalls Leave Trudeau More Room to Spend Ahead of Election
Canada's government is generating unexpectedwindfalls in revenue that could give Prime Minister Justin Trudeau more fiscal leeway than it expected going into an election year.
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Luxembourg Tax Reform- What's Changing in 2019? (Part 1)
Part 1 of this two-part Insight looks at the impact of the new Luxembourg tax measures relating to deductibility of interest payments, the general anti-abuse rule and controlled foreign companies.