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2020

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IRS to Stick to Proposed Tax Rate for Foreign Income Tax Opt-Out

  • By Colin Wilhelm

The IRSwill stickwith an 18.9% offshore tax rate as the threshold for multinational companies looking to opt-out of a tax on a new category of foreign income, an agency official said.

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Spain to Tax Big Tech

  • By Maitane Sardon

Spain said itwill impose a digital-services tax on major tech firms such as Alphabet and Facebook, as part of its goal to tackle the country's deficit and encourage companies to pay taxeswhere they generate benefits.

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Beijings Soft Power Push on Global Tax

  • By Rochelle Toplensky

China's trillion-dollar Belt and Road initiative to build infrastructure connecting Asia, Africa, and Europe has generated plenty of headlines, but its tax arm remains little known. Companies and policymakers alike need to pay closer attention. The project could end up affecting how multinationals pay tax and resolve disputes around the globe.

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Heres How the EU Could Tax Carbon Around the World

  • By Ewa Krukowska

The author discusses the European Union's plan for reducing carbon emissions from its factories and to prevent the rest of theworld fromwiping out those reductions and killing lots of European jobs at the same time.

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Turkey Faces Tax Blacklist If No Changes to Policy, Austria Says

  • By Boris Groendahl

Turkey has until the end of the year to complywith European Union demands on tax transparency, or else risk being added to a list of countries that could face financial sanctions, according to Austrian Finance Minister Gernot Bluemel. The rules include bilateral agreements to automatically exchange bank informationwith EU members,which include Cyprus.

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Insight: OECD's Preliminary Economic Analysis Highlights Need for Pillar Two Information and Engagement 

  • By Jefferson Vanderwolk

In light of the OECD's preliminary analysis, the author discusses the issue of double taxation under the proposed Pillar Two rules.

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European Union Proposes to Amend Council Directives for Administrative Cooperation in Tax Matters


The EU proposal includes measures thatwould expand existing information exchange and create new information disclosure rules.

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Insight: Pillar One of the OECD BEPS Action 1-The Ambitious Time-Bound Goals

  • By Alexandre Mercier

The OECD intends to reach a consensus on the Inclusive Framework by the end of 2020. In light of that goal, the author examines the Framework's concepts, disparate interpretations, andwhat needs to be done to achieve a consensus.

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Practitioners Fear BEPS 2.0 Agreement May Not Be Good Enough

  • By Ryan Finley

Even if international consensus is reached on a minimum tax regime and a new approach to allocating taxing rights, practitioners are concerned that dissatisfied countrieswill retain their unilateral measures or push for further reforms.

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IRS Not Yet Convinced of Lower-Tier DRD Applicability

  • By Andrew Velarde

If taxpayerswish to convince theIRSthat upcoming guidance should apply thedividends received deduction(DRD) to lower-tier dividends from specified foreign corporations (SFCs) to a controlled foreign corporation, they may havework to do.

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Economic Analysis: OECD BEPS Economic Impact Assessments Made Simple

  • By Martin A. Sullivan

Martin A. Sullivan ponders the possibilities of further base-erosion-and-profit-shifting-related estimates by the OECD and by others.

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Norway Proposes Intragroup Interest and Royalty Withholding Tax

  • By Ryan Finley

As part of its effort to prevent profit shifting, Norway'sMinistry of Financehas released a proposal for a newwithholding tax on interest and royalties paid to related parties resident in low-tax countries.

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South African Treasury Proposes OECD-Endorsed Interest Cap

  • By Ryan Finley

Following the approach recommended by the OECD and the African Tax Administration Forum, South Africa's National Treasury has proposed restricting deductible net interest as a percentage of earnings before interest, taxes, depreciation, and amortization.

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Vodafone, Tesco Lose Hungarian Turnover Tax Cases at CJEU

  • By Amanda Athanasiou

The Grand Chamber of the EU's highest court has found that Hungarian turnover-based taxes on telecom and retail operations don't violate the freedom of establishment, even though the tax burden falls heavily on foreign-parented operations.

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Hungarian Advertising Tax Penalty Regime Violates EU Law

  • By Kiarra M. Strocko

Hungary's imposition of cascading fines related to Google Ireland's failure to submit a tax declaration for its advertising services constitutes a restriction on the freedom to provide services, according to the EU's highest court.

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Need for the U.K.s DPT Under Ongoing Review, Officials Say

  • By Ryan Finley

Although the United Kingdom's diverted profits tax (DPT) has become a powerful transfer pricing enforcement tool, itwasn't intended to be permanent and its future necessity remains under review, according toHM Revenue & Customsofficials.

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Unnecessarily Complex OECD Proposals Encourage Tax Planning

  • By Kiarra M. Strocko

TheOECD's proposals on the reallocation of taxing rights are "unnecessarily complex" and could lead to the establishment of tax avoidance practices and international conflicts, according to a study by European research institutes.

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U.K. to Mull Digital Taxation as Part of U.S. Trade Policy

  • By Stephanie Soong Johnston

The United Kingdomwill take public comments about digital taxation into account as it shapes its trade policywith the United States, according to its negotiating mandate for a U.K.-U.S. free trade agreement (FTA).

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Corp. Tax Rates In Political Sights Amid Presidential Race

  • By Alex M. Parker

Some of theworld's largest corporations are finding their financial statements under unwelcome scrutiny as activists ÔøΩ and candidates in the 2020 presidential race ÔøΩ claim they reveal low effective tax rates and loopholes in the system.

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OECD Looks To Cloud Computing To Broaden Digital Tax Scheme

  • By Alex M. Parker

The Organization for Economic Cooperation and Development appears to be broadening the scope of its proposed new global taxing regime to include more digital and online activities such as cloud computing and other business-to-business services.

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OECD Tax Certainty Pilot Closed To New Biz, IRS Official Says

  • By Natalie Olivio

The Organization for Economic Cooperation and Development's program for tax administrations and multinational corporations to openly discuss transfer pricing issues isn't currently taking on any new companies, an Internal Revenue Service official said Thursday.

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Businesses anxious over Greek digital platform law

  • By Mattias Cruz Cano

Companies in Greece are concerned over the vague details of tax legislation that requires online platforms to provide information on sellers. The new law comeswith severe measures for non-compliance.

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South Africa looks to broaden its corporate tax base

  • By Mattias Cruz Cano

South Africa's Finance Minister Tito Mboweni has announced that the countrywill aim to increase its corporate income tax base and signalled a future rate reduction. The VAT rate remains unchanged amid minor changes on indirect taxes.

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Multinationals Taxed at Higher Rate Than Congress Expected

  • By Alexis Gravely

Lawmakerswho supported the Tax Cuts and Jobs Act's global intangible low-taxed income regime didn't realize that some multinational corporationswould end up paying much more in tax thanwas anticipated, according to a former senior tax counsel.

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Economic Analysis: Segmenting Business Boosts OECD Pillar 1 'Amount A' Reallocations

  • By Martin A. Sullivan

In economic analysis, Martin A. Sullivan examines how any OECD requirement that large multinational corporations calculate their pillar 1 amount A profit reallocations from source countries to market countries could result in significant tax increases.

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The OECD Project That Shall Not Be Named

  • By Mindy Herzfeld

The OECD's base erosion and profit-shifting project had a catchy name: BEPS. But in a recent statement from the OECD/G-20 inclusive framework on BEPS, the organization refers to its latest undertaking as the "Two-Pillar Approach to Address the Tax Challenges Arising From the Digitalisation of the Economy." The inability to come upwith a succinct title for a project that in reality is awholesale rewrite of international tax rules reflects a deeper problem: The project means different things to its participants, its opponents, and even its advocates.

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Belgian Government Wants Exemptions to GLOBE Minimum Tax

  • By Elodie Lamer

The Belgian tax administration says patent boxes should be exempted from the OECD's proposed global anti-base-erosion (GLOBE) minimum tax.

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G-20 Ministers Back New Roadmap for OECD Global Tax Deal

  • By Stephanie Soong Johnston

G-20 finance ministers haveendorsed an updated roadmap to guide OECD-level negotiations on a global tax overhaul deal by the end of 2020, underscoring the importance of agreement on elements of that solution by July.

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House Bill Seeks To Force Multinationals To Disclose Tax Havens

  • By Joseph Boris

Legislation recently introduced in the U.S. House of Representativeswould force large multinational companies to provide country-by-country financial reports that the bill's Democratic sponsors saywould reveal the possible use of offshore tax havens.

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KPMG Study Casts Doubt on Key OECD Global Tax Deal Design Issue

  • By Ryan Finley and Stephanie Soong Johnston

Anew economic analysis fromKPMGthrows into question the need for differentiation in amount B of theOECD's so-called unified approach for modernizing corporate tax rules for the digital age.

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Economic Analysis: OECD Pillar 1 'Amount A' Shakes Up Worldwide Profit

  • By Martin A. Sullivan

In economic analysis, Martin A. Sullivan uses details from an OECD proposal and real but imperfect data to mimic how the OECD may begin to tax the digital economy.

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Zuckerberg to say Facebook will accept more taxes, new rules

  • By Marty Johnson

Facebook founder and CEO Mark Zuckerberg is expected to deliver remarks on Saturday in Germany expressing his company's acceptance of having to pay more taxes under global tax reforms."I understand that there's frustration about how tech companies are taxed in Europe.we alsowant tax reform and I'm glad the OECD [Organization for Economic Cooperation and Development] is looking at this," excerpts of Zuckerberg's speech read, Reuters reports.

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Dems' Bill Would Nix Treasury's High-Tax Exception To TCJA

  • By Natalie Olivio

A bill proposed by two Democratic senatorswould reverse a recent U.S. Treasury Department proposed regulation thatwould exempt corporate income already taxed at high rates from the 2017 tax overhaul's global minimum tax.

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CBO Report Adds To Controversy Over Intl Tax Regs

  • By Natalie Olivio

The Congressional Budget Office's recent economic outlook report is murky on how the 2017 tax overhaul's international measures lowered corporate revenue projections by roughly $110 billion, leaving space for debate aboutwhether business-friendly regulations affected the adjustment.

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The OECD releases final TP guidance on financial transactions

  • By Josh White

The OECD has published its long-awaited TP guidance on financial transactions that includes several new points on how to apply the arm's-length principle (ALP) to credit default swaps and economic modelling.

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OECD Gig and Sharing Economy Platform Reporting Rules Take Shape

  • By Stephanie Soong Johnston

TheOECDis starting to design model rules governments can adopt to ensure sharing and gig economy platform operators report seller details in a consistent manner to tax administrations ÔøΩ and is asking for input.

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EU Adds 4 Jurisdictions to Blacklist, Adopts VAT Measures

  • By Jean Comte

Finance ministers added four jurisdictions to the EU list of noncooperative jurisdictions for tax purposesand adopted severalVAT-relatedtexts.

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EU Not Working on Plan B for Global Tax Deal Yet, Gentiloni Says

  • By Stephanie Soong Johnston

The EUwill enact a plan B if countries can't agree on a global tax update by the end of 2020, but for now, it's fully focused on plan A, the EU's tax chief said.

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Turkey Faces Tax Blacklist If No Changes to Policy, Austria Says (1)

  • By Boris Groendahl

Turkey has until the end of the year to complywith European Union demands on tax transparency, or else risk being added to a list of countries that could face financial sanctions, according to Austrian Finance Minister Gernot Bluemel. The rules include bilateral agreements to automatically exchange bank informationwith EU members,which include Cyprus.

To read more go here Subscription Required

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OECD's Preliminary Economic Analysis Highlights Need for Pillar Two Information and Engagement 

  • By Jefferson Vanderwolk

In light of the OECD's preliminary analysis, the author discusses the issue of double taxation under the proposed Pillar Two rules.

To read more go here Subscription Required

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European Union Proposes to Amend Council Directives for Administrative Cooperation in Tax Matters (1)


The EU proposal includes measures thatwould expand existing information exchange and create new information disclosure rules.

To read more go here Subscription Required

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Insight: Pillar One of the OECD BEPS Action 1 - The Ambitious Time-Bound Goals

  • By Alexandre Mercier

The OECD intends to reach a consensus on the Inclusive Framework by the end of 2020. In light of that goal, the author examines the Framework's concepts, disparate interpretations, andwhat needs to be done to achieve a consensus.

To read more go here Subscription Required

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Fixing Five Flaws of the Tax Cuts and Jobs Act

  • By KImberly A. Clausing

The author arguesthat TCJAis flawed in five importantways: itgenerates large deficits thatwill reduce the ability of the government to fund important priorities in the future; itmoves the tax system in a regressive direction;it decreases economic efficiency insomeways, moving the tax system away from optimal design principles; itmisses an opportunity to combat profit shifting by multinational companies, changing the character of the problem but leaving its scale largely undiminished; andintroduces new sources of complexity.Clausing thensuggests both short term and more fundamentalways to reform the tax code.

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Companies Shifted Deductions, Income to Maximize 2017 U.S. Tax-Rate Cut

  • By Richard Rubin

U.S. corporations accelerated deductions and deferred income to maximize the benefits of the 2017 tax-rate cut, contributing to a large temporary drop in federal corporate-tax revenue in 2018, according to newly released data.
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EU Ministers Hit Pause on Blacklisting Turkey as Tax Haven

  • By Joe Kirwin

European Union finance ministerswill give Turkey more time to agree to exchange bank information automaticallywith all EU members before putting them on the bloc's tax haven blacklist. On the other hand, the economic bloc plans to put the Cayman Islands on its tax haven blacklist on Tuesday, February 18.

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OECD Clarifies How Companies Should Price Financial Transactions

  • By Sony Kassam

The OECD released long-awaited guidance on how multinationals should price intercompany financial transactions. It marks the first time the OECD has incorporated concrete rules on financial transactions, such as intra-group loans, hedging, and cash pooling, into its transfer-pricing guidelines.
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Insight: India Budget 2020Tax Measures Affecting Nonresidents


The authors look at the proposals for nonresidents announced in the India Budget 2020, including a tax on the digital economy and mandatorywithholding on digital transactions,whichwill have a significant impact on cross-border transactions.

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Tech Groups Wants to Help to Avoid Cloud Transaction Tax Hit

  • By Siri Bulusu

Business groups and tech giantswant the IRS to clarify new cloud computing tax rules and ensure companieswon't take an unexpected tax hit.

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Insight: U.K. Tax Authority Focus on "Profit Diversion" Means MNEs Pay More Tax

  • By John Claypole and Ken Almand¬†

The authors consider the impact of the U.K. tax authority's Diverted Profits Tax so far, andwhat's ahead for multinationals.

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Luxembourg Company Scores Tax Victory in Canadian Court

  • By Amanda Athanasiou

A Luxembourg entity that owned a Canadian shale oil company and admitted involvement in a tax avoidance transaction has prevailed over allegations by the Canadian government that itwasn't entitled to treaty benefits.

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