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Int'l Tax News

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Costa Rica Unveils Tax Overhaul Bill


The Costa Rican government unveiled legislation for a tax overhaul that includes an expanded value-added tax, a new permanent establishment definition, formal introduction of transfer pricing laws and a tax on the passiveworldwide income of local taxpayers.
For the DTR story, go here. (subscription required)

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News Analysis: Etsy -- a Case Study in Inducing Tax Transparency


Ajay Gupta examines Etsy's about-face on its promise to deliver greater tax transparency and suggests energizing the investor base as away to discourage secretive tax planning.
For thewWTD story, go here. (subscription required)

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Behind the scenes with China's tax minister: Writing on the wall spells harmonisation

  • By ITR

With burgeoning middle class spending power and a maturing legal structure, China is more attractive to investors than ever.with the government fast-tracking economic and fiscal development,wang Jun, China's Tax Commissioner (ministerial level) provides insights into how he is bringing Chinese tax policy into linewith global standards, and the importance of taking care of the pond if youwant good quality fish.
For the ITR story, go here.

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News Analysis: Looking Beyond Tax Treaties to Address Cross-Border Tax Issues


Mindy Herzfeld examines how cross-border tax issues may be resolved under bilateral investment treaties and suggests that these treaties might offer an alternative to the broken mutual agreement process employed in bilateral tax treaties.
For the TNI story, go here. (subscription required)

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News Analysis: New Offshore Property Transfer Guidance Targets Partnerships


In news analysis, Marie Sapirie says the IRS's recent notice on transfers of property to partnershipswith related foreign partners confirms that the government intends to shore up the rules regarding transfers of property abroad, presenting potentially significant obstacles for taxpayers.
For the TNT story, go here. (subscription required)

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The Foreign Tax Credit War (1)


Objectionable foreign tax credit transactions needed principled responses, and principled responseswere enacted in the midst of a scattergun attack on these objectionable transactions. However, the United States must have a principled foreign tax credit regime that balances the need to prevent international double income taxationwith the need to prevent abusive transactions. This Article addresses the disallowance provisions that have been added to section 901 as part of the government'swar against objectionable foreign tax credit transactions and assesseswhich of those provisions serve a continuing policy objective andwhich do not. The Article argues that U.S. tax lawwould be greatly improved if section 901 embodied a principled approach and if redundant provisions that create incoherent outcomeswere removed.
For the article, go here.

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Australia Tries Global Tax Risk Snapshot for Multinationals


Australia's risk-differentiation approach to selecting large corporations for audit has delivered unexpected benefits, prompting greater transparency and changing behavior around tax policy, according to the officialwho spearheads the Australian Tax Office's dealingswith big companies.

For the DTR story, go here. (subscription required)

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The Economic Effects of Adopting the Corporate Tax Rates of the OECD, the UK, and Canada


Cutting the corporate tax rate to the OECD average of 25 percent, to the British rate of 20 percent, or the Canadian rate of 15 percentwould improve economic growth and aidworkerswhile reducing problems caused by the high rate such as inversions and base erosion, Tax Foundation President Scott A. Hodge said in an August report.
For the report, go here.

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Increasing Tax Revenue Crucial for Emerging Asian Economies, OECD Says


Indonesia, Malaysia, and the Philippines have made progress in increasing tax revenue, but there is still room for those emerging economies to improve their tax administrations and further raise critical revenue, according to an OECD report released August 19.
For thewWTD story, go here. (subscription required)

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Egyptian VAT would be bad news for big business due to high threshold


Egypt's long-awaited VAT could be inching ever closer according to a statement by the head of the tax authority, but the high threshold being proposed could hand smaller businesses a competitive advantage.
For the ITR story, go here.

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Questions Remain on BEPS, U.S. Model Treaty Changes


Aswork on the U.S. model treaty continues alongside the OECD's base erosion and profit shifting project, questions remain on how similarities and differences between the twowill play out, practitioners told Bloomberg BNA in a series of interviews.
"It's not clearwhether, as taxpayers,we're going to have to dealwith multiple regimes," said Fred Murray, a managing director at Grant Thornton LLP inwashington. "There may be a turbulent timewhilewe're sorting all this out."
For the DTR story, go here. (subscription required)

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House Innovation Box Draft Tries to Avoid British Nexus Pitfall


Draft language introduced in late July to create a U.S. innovation box takes a novel approach to avoid the rocky start a similar patent box tax system had in the U.K., but the nascent proposal still has its critics.

For the DTR story, go here. (subscription required)

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Outlook Foggy for Cloud Computing in Tax Innovation Box


A proposal in Congress promises multinational corporations lower taxes for income from patents, designs and other intellectual property. But software developers hoping to trim their tax bills may be in for a hard truth: A lot of software appears not to qualify, even though the proposal mentions it specifically.

For the DTR story, go here. (subscription required)

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Conversations: Jeffrey Owens, Michael D'Ascenzo, and Jeff Westphal


In the continuing series of Fireside Chats, Jeffrey Owens talkswith Michael D'Ascenzo and Jeffwestphal about tax and technology and the push to make tax systems function more effectively.
For the TNI interview, go here. (subscription required)

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News Analysis: Protecting the Corporate Tax Base -- Carrots vs. Sticks


Mindy Herzfeld reviews three recently announced corporate inversions in the context of the United States' continuing efforts to ring-fence its corporate tax base through prescriptive regulations.
For the TNI article, go here. (subscription required)

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News Analysis: The U.S. and BEPS -- Return of the Big Bad Bully


Ajay Gupta argues that the United States' recent voluble disenchantmentwith the progress of the OECD's base erosion and profit-shifting project signals a return to the familiar state of discord in international tax policymaking, but this time in a much more fragmentedworld
For the TNI article, go here. (subscription required)

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Untangling the BEPS Hybrid Mismatch Rules, Part 3


Robert Cassanos analyzes the OECD's final report on action 2 of its base erosion and profit-shifting project from a technical and policy perspective and suggestsways to make the hybrid mismatch rules more effective and easier to complywith.
For the Tax Notes special report, go here. (subscription required)

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Patent Box Bill Could Be Too Generous With Tax Incentives


Draft legislative language intended to offer a sharply discounted 10 percent tax rate on money U.S. firms make from foreign sales of their most innovative products iswritten so broadly that it could apply to nearly anything sold.

For the DTR story, go here. (subscription required)

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New Zealand May Levy Goods Tax on Foreign Digital Suppliers


New Zealand's revenue minister has proposed new place-of-supply rules requiring foreign suppliers to register and pay goods and services tax on the digital services and products they sell to New Zealand consumers.

For the DTR story, go here. (subscription required)

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The Lowdown on Inversions

  • By Committee on Ways and Means

The United States' high corporate tax rate, itsworldwide system of taxation, and its low prospects for comprehensive tax reform in the near future are causing American companies to invert so they can lower their tax burden,which in turn reduces U.S. jobs and tax revenues, Houseways and Means Committee staff said in an August 18 release.
For the release, go here.

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BEPS pivotal in fight over tax competition


At first glance the OECD's Base Erosion and Profit Shifting (BEPS) project is difficult to understand.
There has been no decline in corporate tax revenues in recent years, and nations already possess a variety of tools to respond to erosionwhen needed. BEPS is thus drawing an inordinate amount of global attention and resources for apparently low expected returns. The onlyway to thus explain the project is to recognize that it represents a new front in the OECD's long runningwar on tax competition.
For the Cayman Financial Review story, go here.

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An Innovation Box for the U.S.? Congress Should Focus on Business Tax Reform Instead


There is growing talk of Congress creating an "innovation box" instead of focusing on broad business tax reform. Thiswould be a mistake. An innovation box, often called a patent box in Europe, offers lower tax on certain types of income derived from intellectual property, or IP. Such boxes pickwinners and losers and are not substitutes for sound policies like a lower business tax rate and a territorial tax system to replace today'sworldwide system. Congress needs to refocus on passing business tax reform to revive economic growth instead.
For the Heritage Foundation backgrounder, go here.

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Luxembourg proposes new corporate tax measures for 2015 and 2016

  • By ITR

Major corporate tax changes have been proposed in Luxembourg,whichwould bring the Grand Duchy into linewith recent changes to the Parent-Subsidiary Directive and remove certain exemptions for companies.
For the ITR story, go here.

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NYSBA Tax Section Urges Limits on U.S. Model Treaty


The Treasury Department should clarify that a proposed change to the U.S. model income tax treatyÔøΩone thatwould deny benefits if a treaty partner adopts a "special tax regime"ÔøΩdoesn't apply to business income, the New York State Bar Association Tax Section said in a letter and report to the government.
For the DTR story, go here. (subscription required)

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What affect could the Altera decision have on non-US companies and subsidiaries


A recent decision in Altera Corporation vs Commissioner has seen a portion of treasury regulations relating to cost-sharing agreements (CSAs) on stock-based compensation ruled as invalid.
For the ITR story, go here.

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IRS announces forthcoming regulations limiting deferral of gain on contributions to partnerships with related foreign partners and addressing valuation of controlled transactions involving partnership

  • By PwC

The IRS on August 6 issued Notice 2015-54 (the Notice), announcing its intention to issue regulations significantly changing the treatment of partnershipswith US and foreign partners that are related parties.

For the PwC Insight, go here.

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Valuation at Center of Transfers-to-Foreign-Partner Rule


Contributing intangible property to a partnership is similar to contributing pre-existing intangible rights to a cost-sharing agreement that could indicate how government officials are conceptualizing regulations targeting appreciated property transfers to foreign partners, a practitioner said.
For the DTR story, go here. (subscription required)

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Why Do We Need International Tax Reform?

  • By Waysandmeans.house.gov

International tax reform is urgently needed because companies are holding $2 trillion overseas to avoid U.S. taxes, the corporate tax base is shrinking, and U.S. companieswill likely be pressured to move more research capital overseas to take advantage of foreign patent boxes, the Houseways and Means Committee staff said in an August 13 release.
For the release, go here.

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Cisco, Microsoft, Others Await Tax Reform to Bring Back Billions in Overseas Cash


Cisco, like other tech giants, is banking on Uncle Sam to help it make better use of its cash.
In an interview following fiscal fourth-quarter earnings, CFO Kelly Kramer said the San Jose-based Cisco iswaiting for a change to tax laws to bring the majority of its $60.4 billion in cash back to the U.S.
For The Street story, go here.

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EC Rebuffs OECD Pressure to Alter Tax Haven Blacklist


The European Commission said itwill update its controversial list of uncooperative tax havens by the end of 2015 but it insisted that, to date, none of the 30 countries or independent territories on the list has been removed.
The "blacklist," released in June, has been the source of intensive lobbying by the Organization for Economic Cooperation and Development, aswell as a host of listed jurisdictions.
For the DTR story, go here. (subscription required)

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IRS Treaty, Advance Pricing Guidance Reflects OECD Work


The IRS finalized a pair of revenue procedures explaining the process for multinational taxpayers seeking advance pricing agreements or treaty assistance from the U.S. competent authority.
"Between notice and finalizationwe took into account the many public commentswe received, butwe also took into account the greater global tax administration environment," said David Varley, acting director of transfer pricingwith the IRS's Large Business & International Division (LB&I).
For the DTR story, go here. (subscription required)

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New report compares performance, best practices and trends in 56 tax administrations

  • By OECD

Tax administrations continue to face the challenges of improving their performancewhile reducing costs, decreasing compliance burdens for taxpayers tackling non-compliance. Improving taxpayer services,while making non-compliance harder, is helping revenue bodies increase their efficiency and allowing governments to finance important programmes thatwill further benefit their citizens.
For the OECD report, go here.

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South Korea Adopting Country-by-Country Reporting in Stages


South Korea is joining other countries rolling out the OECD's global standards on transfer pricing documentation,with additional disclosures to be required on the international transactions of domestic and foreign companies for income years beginning on or after Jan. 1, 2016, an official said.
For the DTR story, go here. (subscription required)

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BEPS and the Digital Economy


Christopher J.worek examines the recommendations in action 1 of the OECD's base erosion and profit-shifting project, explainswhy one is superior, and modifies and integrates them into aworkable alternative.
For the TNI article, go here. (subscription required)

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Challenges Remain for Tax Administrations, OECD Says


Tax administrations are making positive strides, improving management of large taxpayers, decreasing outstanding tax debts, and enhancing efficiency, but they continue to face budgetary constraints and unrealized potential, especially in the area of voluntary disclosure, the OECD said in an August 11 report.
For the TNT story, go here. (subscription required)

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Analysts: BEPS Project Won't Work Without U.S.


Fear of losing tax sovereignty is one of the biggest obstacles to U.S. and other countries' support of the Organization for Economic Cooperation and Development's plan to combat base erosion and profit shifting, said a tax consultant at London-based law firm Allen & Overy LLP.
As away of "overcoming divergence of tax systems" and combating multinationals' profit shifting, the BEPS initiative "is a thoughtful and impressive response" and "shows international tax cooperation at its best," Stephen Fiamma said at an Aug. 10 media briefing.
For the DTR story, go here. (subscription required)

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How BEPS and Bulletin 16 could impact putbound payments from China


Patrick Cheung and Johnny Foun, of Deloitte China, go through the significant aspects of the BEPS action plan and local legislation to explore how these policies could affect multinationals' outbound payments from China.
For the ITR story, go here.

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Risk and recharachterisation - Does it make sense in a financial services context?


Read how taxpayers can take measures to protect themselves in a risk and recharacterisation context as global legislation realigns.

For the ITR story, go here.

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Untangling the BEPS Hybrid Mismatch Rules, Part 2


Robert Cassanos analyzes the OECD's final report on action 2 of its base erosion and profit-shifting project from a technical and policy perspective and suggestsways to make the hybrid mismatch rules more effective and easier to complywith.
For the Tax Notes article, go here. (subscription required)

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Officials: Germany to Stand Firm on Tax Rates, BEPS


German Finance Ministry officials told Bloomberg BNA that the countrywon't seek to match the U.K., Netherlands or other European Union nations on business tax rates, but is listening to pressure from its business community to adopt a patent box regime.
In interviews conducted Aug. 5-7, officials provided insight into German Finance Minsterwolfgang Schaeuble's position on the EU's various tax harmonization efforts, ranging from transfer pricing to patent boxes.
For the BNA DTR story, go here. (subscription required)

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News Analysis: The Evolution of Inversions


In news analysis, Marie Sapirie discusses recent IRS and Treasury efforts to eliminate corporate inversions.
For the Tax Notes story, go here. (subscription required)

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OECD BEPS Project: Nothing New Under the Sun?


David Ernick delivered the keynote speech at the July 22 National Association for Business Economics Transfer Pricing Symposium, discussing the OECD'swork on international tax issues through the base erosion and profit-shifting project.
For the speech, go here. (subscription required)

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Accounting for income taxes in cross-border transactions

  • By PwC

The latest Front lines topic is accounting for income taxes in cross-border transactions.

Companies are seeking opportunities for growth and diversification. They are increasingly using cross border M&A activity as a mechanism for becoming established in foreign markets and to stimulate growth. Such activity is expected to increase in 2015, a result of lower foreign tax rates, a strengthening US dollar, US stock market indices reporting record levels and an accumulation of cash by foreign subsidiaries. These trends have afforded companies the opportunity to engage in M&A activity by using the strong US dollar to purchase foreign companies.

The acquisition of a foreign business can introduce complex financial reporting challengeswhen accounting for income taxes. Pre-acquisition, a company must gain a sufficient understanding of the foreign target's operations and tax structure in order to knowwhere the acquired assets reside, the relevant taxing jurisdictions, and the applicable tax rates. Post-acquisition issues may arise from internal reorganizations and the need to perform GAAP conversions.

For this issue, go here.

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Bipartisan proposal outlines US innovation box regime with lower effective tax rate

  • By PwC

Houseways and Means Committee members Charles Boustany (R-LA) and Richard Neal (D-MA) on July 29, 2015 released an 'innovation box' discussion draft proposal thatwould provide a 10.15% effective US corporate tax rate on income derived from certain types of intellectual property (IP). The idea of an innovation box has gained bipartisan support in both the House of Representatives and the Senate at a timewhen several European Union countries have established preferential tax regimes for various forms of IP-related income. Designed to attract and retain research and development (R&D) investment and IP in the United States, an innovation box could be considered as part of broader international tax reform legislation.

For the PwC Insight, go here.

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OECD Releases Guidance Package for AEOI Implementation


The OECD on August 7 published three new documents that provide guidance on the implementation of the new global standard on automatic information exchange, including a practical handbook, a model protocol to tax information exchange agreements, and an updated report on offshore voluntary disclosure programs.
For thewWTD story, go here. (subscription required)

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News Analysis: Splitting Profits With Communists


In Part 2 of her review of the OECD'swork on the profit-split method under BEPS action 10, Mindy Herzfeld discusses the views of the tax community in China, paying particular attention to their dramatic differenceswith the non-Communist states of the G-20.
For the TNI story, go here. (subscription required)

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News Analysis: Altera -- Implications for BEPS


Ajay Gupta continues his examination of the U.S. Tax Court's recent decision in Altera, focusing on its implications for the transfer pricing reforms proposed under the OECD's base erosion and profit-shifting project.
For the TNI story, go here. (subscription required)

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Germany to Provide Corporate Tax Deal Data to EU


Germany's finance ministrywill provide details of tax agreements between a dozen corporations and German tax authorities to a European Union committee investigating tax deals between multinationals and EU member governments.

For the BNA DTR story, go here. (subscription required)

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OECD Releases Handbook, Model Protocol for Info Exchange


The Organization for Economic Cooperation and Development issued a handbook and model protocol on tax information exchange agreements for implementing the common reporting standard for the automatic exchange of information.
The OECD said Aug. 7 that the handbook, its first edition,will provide practical guidance for government officials and financial institutions for implementing the standard,which is part of the organization's efforts to curb international tax evasion.
For the BNA DTR story, go here. (subscription required)

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HMRC eyes tax gains from cross-border transactions


Almost £19bn of potential tax underpayments by large businesses are being scrutinised by HM Revenue & Customs,which considers cross-border transactions to be the biggest source of inaccuracies.

For the Financial Times story, go here.

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