Germany to Start Legislating for OECD Global Minimum Tax
After consulting on transporting an EU directive implementing global minimum tax rules under pillar 2 of the OECD’s two-pillar global tax reform plan, Germany is ready to take the next step, a German official said.
EU Wants SAFE Proposal to Focus on 'Bad Apples,' MEP Says
A European Commission proposal to penalize intermediaries that facilitate tax avoidance and aggressive tax planning aims to target “bad apples,” not law-abiding tax advisers, Dutch member of the European Parliament Paul Tang said.
Pillar 2 Could Raise Taxes on Multinationals in U.S., CRS Says
The pillar 2 proposed global minimum tax could raise taxes on multinationals’ operations in the United States even if the country fails to act on the proposal, and it could reduce the benefit of credits or other domestic tax incentives, the Congressional Research Service said in a June 29 report.
Pillar 2 Concerns Persist Amid Australia's Draft Intangibles Rule
Australia’s amended draft rule denying deductions for intangibles payments linked to low-tax jurisdictions reflects some stakeholder concerns, but its interaction with OECD global minimum tax rules remains to be seen, practitioners said.
Minimum Tax May Spur Rethink of Incentives, OECD Official Says
A global minimum effective tax rate will likely encourage governments to stop offering tax incentives that reduce a multinational enterprise’s profit and design incentives to cost-effectively stimulate investment, according to an OECD official.
Supreme Court to Hear Transition Tax Case With Vast Implications
In Moore v. United States, the Supreme Court has decided to take up a constitutional challenge to the validity of the transition tax in the face of 16th Amendment concerns, and the fallout from a taxpayer-favorable decision could be monumental.
France’s Macron Champions Global Taxation for Poverty, Climate
French President Emmanuel Macron called for global taxation to finance the fight against poverty and climate change. He proposed new taxes on airline tickets, financial transactions, and shipping.
European Commission Avoids Political Headaches With FASTER
The European Commission has published its withholding tax reform proposal, insisting that it is strictly procedural, as it tries to gain quick approval of the plan, unlike its previous pro-business proposals.
U.K. Will Keep DST Until Pillar 1 Rules Are in Place
The United Kingdom will maintain its digital services tax until pillar 1 of the two-pillar plan to reform global corporate tax rules is implemented, according to Paul Tang, a Dutch member of the European Parliament.
National Horsemen's and the Constitutionality of the Corporate AMT
Mindy Herzfeld considers the implications of the Fifth Circuit’s holding in a recent nondelegation doctrine decision for the constitutional validity of the corporate alternative minimum tax.
Countries Mull U.S. Call for Extending Digital Tax Moratorium
The United States has proposed extending a digital services tax moratorium under the OECD’s pillar 1 framework, and while some countries are open to the idea, others are keeping their cards close to their chests.
World's Biggest Offshore Center Backs Effort to Fight Corporate-Tax Avoidance
Swiss voters overwhelmingly supported a global move to establish a minimum tax on corporate profits, with the world’s largest offshore center feeling the pressure to help crack down on tax avoidance by the biggest international companies.
New Jersey Lawmakers Launch Action on Corporate Tax Changes
New Jersey's SB 3737 would enlarge the state's GILTI exclusion from 50% to 95%, in line with neighboring states. The change could cost the state $122.8 million per year, but supporters maintain it would make New Jersey more competitive.
GOP Plan Would Let Companies Opt Out of Foreign Tax Credit Rules
A new tax proposal from House Republicans would allow companies to temporarily disregard stricter standards for taking advantage of the foreign tax credit. GOP lawmakers argue the proposal would shorten US companies' supply chains, boost their competitiveness, and prevent double taxation.
Developing Nations Need UN to Air Their Tax Issues, Official Says
Developing countries want a UN forum to discuss global tax cooperation because they feel the OECD hasn't addressed their concerns. The UN secretary general is working on a report that could lead to the creation of an intergovernmental tax-cooperation body.
Taiwan Trade Bill Clears House Panel in United Vote
The House Ways and Means Committee unanimously approved a bill to approve a trade pact with Taiwan. The bill could lead to a tax agreement between the two countries to eliminate double taxation and promote investment.
European Court of Justice Issues Advocate General Ruling on Luxembourgish State Aid to Amazon
The European Court of Justice's advocate general sided with the General Court in its decision to overturn the European Commission's ruling that Amazon received illegal state aid from Luxembourg. The advocate general found that the Commission incorrectly applied the arm's length principle and failed to identify the framework for normal taxation in Luxembourg.
Boost Social Economy Through Tax Policy, European Commission Says
The European Commission recommends that EU countries review their tax systems to encourage social economy enterprises, which prioritize community or environmental causes. The Commission suggests offering tax breaks for donations and retained profits and reducing the tax compliance burden.
More Than 250 Delegates Join First OECD Global Tax Deal Seminar
The OECD held an information sharing meeting to help developing countries implement the global minimum tax rules. The meeting brought together early movers on the deal to discuss change management and the necessary steps to implement a minimum tax.
Multinationals Should Beware New European Tax Rules on Horizon
ATAD 3 is a pending EU tax rule intended to crack down on the misuse of EU holding companies. The rule will take effect as early as 2024, and companies that are out of compliance could face penalties.
UK Tax Office Clarifies How Minimum Tax Regime Will Hit Business
The UK tax office released a draft proposal for how it will implement its version of the global minimum tax framework. The proposal includes details on which groups and entities will be subject to the minimum tax, as well as how the tax will be administered.
Bill Overhauling Brazil’s Transfer Pricing Rules Signed Into Law
Brazil adopted new transfer pricing rules in line with global norms, which will make it more likely that US multinationals operating there will be able to receive foreign tax credits. The rules become mandatory in 2024, but companies can choose to apply them in 2023.
Global Tax Mess Awaits U.S. Companies, and Congress Isn't Helping
U.S.-based multinational companies will start paying higher taxes in foreign countries next year under a global minimum-tax agreement. The following year, the deal will cause U.S. companies to lose domestic tax breaks. In 2026, U.S. taxes on companies’ foreign income will rise because of long-delayed provisions of the 2017 tax law. Despite U.S. officials negotiating in 2021 for a way to limit corporate tax avoidance, Congress is deadlocked over what to do and this will ignite consequences for American companies.
'Cautious Optimism' on Pillar 1 Tax Deal, Nembhard Parker Says
The inclusive framework on base erosion and profit shifting is staying positive about finalizing a multilateral convention to implement part of the OECD’s two-pillar global tax plan, but challenging discussions remain, the group’s co-chair said.
Mexico Offers Tax Free Investments to Boost Southeast
The Mexican government is offering tax breaks to companies that invest in 10 new development zones in the southeast of the country. The tax breaks include a three-year exemption from corporate income tax with a 50% reduction for an additional three years.
Treasury Plans More Guidance on Intellectual Property Transfers
The Treasury Department plans to release additional guidance on transfers of intellectual property into and out of the United States. The guidance will address questions that were not addressed in proposed rules issued in May.
EU Wealth Tax Debate Heats Up As Governments Search for Revenue
Some EU policymakers believe wealth taxes could provide new sources of revenue, while others argue they would be difficult to implement and enforce. Supporters claim skepticism about wealth taxes is due to shortcomings of the few currently in place and have proposed fixes.
Taiwan Trade Bill Unveiled, Could Pave Way to Tax Pact
Approval of a trade pact with Taiwan has laid the foundation for a tax deal between the two countries, according to House and Senate tax writers. Taiwan is not recognized by the US as a sovereign nation, so it can’t sign treaties, but lawmakers believe significant treaty-like benefits could be provided through the tax code.
Carried Interest Tax Advantage Faces Legal Challenge in United Kingdom
A nonprofit law firm and a UK businessman have filed a legal challenge against the UK tax authority, arguing that private equity managers should be taxed at a higher rate. The challenge seeks to end the practice of taxing carried interest as a capital gain at 28% instead of income at above a 40% rate.
Time to Declutter Tax Systems Amid Pillar 2 Adoption, Pross Says
As countries implement global minimum tax rules, it might be time to consider changing or eliminating potentially duplicative anti-tax-avoidance measures, like controlled foreign corporation rules, an OECD deputy tax chief said.
U.S., U.K. to Seek Energy Subsidy Agreement
President Biden and British Prime Minister Rishi Sunak announced plans to reach a deal on critical minerals that will allow U.K. auto manufacturers to at least partially qualify for the clean vehicle tax credit included in the Inflation Reduction Act.
Comments Requested on Services FTC Licensing Exception
Speaking on June 7 at a Texas Federal Tax Institute conference, Tracy Villecco of the IRS Office of Associate Chief Counsel (International) said the government is open to hearing comments on a fact pattern “where the withholding payment on a service payment is in respect to services performed within that source jurisdiction, similar to the single-country exception for royalties.”
OECD Countries Want to Aid Wider Adoption of CbC Reporting
Leaders from OECD member countries pledged to help developing countries implement the two-pillar plan to modernize corporate tax rules while calling on the OECD to aid those countries in introducing country-by-country reporting rules.
EU, U.S. Observers Say Green Goals Require Both Carrot and Stick
European Commissioner for Competition Margrethe Vestager said that taxing bad behavior is more efficient than rewarding good behavior for achieving clean energy goals, but sometimes subsidies are necessary to support innovation.
African Countries Talk Pillar 2 Top-Up Taxes, U.N. Tax Position
The African Union is seeking ways to protect its member countries’ tax bases, including adopting domestic minimum top-up taxes and formulating a common position to help shape the U.N. debate on international tax cooperation.