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Are Corporate Taxes Driving Jobs Overseas?
Corporate mergers and takeovers have reached their highest levels since 2007, driven in part by companies' desire to leave the U.S. to save tax dollars.
Harvard economist Ken Rogoff says to beginwith, the business tax code is too complicated, like the rest of the U.S. tax code, and itwaswritten for a 20th century economy.
He discusses the issuewith Here & Now's Jeremy Hobson.
For the interview, go here.
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World's Worst Tax Collectors
It's not easy to find a countrywith a higher corporate tax rate than America's 40%. Andwhat's remarkable is the number of truly oppressive governments that somehow manage to maintain a more competitive tax policy than the U.S.
For the editorial, go here.
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KPMG Survey: Corporate Tax Leaders Skeptical That OECD Will Meet Goals OfBEPS Action Plan By Deadline
While significant progress continues to be made by the Organisation for Economic Co-operation and Development (OECD) on its Action Plan on Base Erosion and Profit Shifting (BEPS), tax executives at many U.S. multinational companies do not believe the OECD has allowed adequate time to accomplish the plan's goals, according to a survey by KPMG LLP, the U.S. audit, tax and advisory firm.
For a summary of the survey results, go here.
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Ten EU member states to introduce FTT by 2016
Ten of the 11 EU member stateswhich supported the financial transaction tax (FTT) are set to introduce it by 2016, following the dismissal of a UK legal challenge by the European Court of Justice.
For the story, go here.
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Opinion:How to Energize a Lackluster Recovery
Allowing the full and immediate deductibility of capital investmentwould spur growth and raisewages.
There is no need for any complicated new tax laws or bureaucracies to make this change. Investments in plants, equipment, R&D and even human capitalwould be deductible from profitswhen paying taxes, and the deduction could be used now or against future or past tax liabilities.
For the story, go here.
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Logic Says No to Options Y, Z, and C, but Yes to Imputation
In this report, Samuel C. Thompson Jr.demonstrateswhy the approach to the taxation of controlled foreign corporations under the international business tax reform discussion draft of former Finance Committee Chair Max Baucus does not reflect sound tax policy and should be rejected. He argues that Congress should instead adopt an imputation system and use the revenue generated from that system to significantly reduce the corporate tax rate for all corporations.
For the report, go here. (subscription required)
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European Union: EU Finance Ministers to Close Corporate Double Non-Taxation Path, Back FTT Plans
European Union finance ministerswill try to close down an important corporate tax "loophole" and at the same time make progress toward an agreement on a financial transactions tax (FTT) to be imposed in 11 EU member stateswhen a Council of Economic and Financial Affairs takes place May 6.
Following a proposal from the European Commission in November of 2013, EU member stateswill seek agreement on a revision of the EU Parent-Subsidiary Directive (EEC/2011/96) in order to eliminate corporate tax evasion via a hybrid loan arrangement.
For the story, go here. (subscription required)
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Territoriality Advances, Protectionism Retreats
J.D. Foster presents the arguments in favor of territoriality in intuitive termswhile highlighting the flaws in the case favoring aworldwide system. Territoriality is steadilywinning the day, much as free trade continues to prevail, and the parallels are not accidental.
For the article, go here. (subscription required)
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Economists Say Lower Corporate Rate, VAT Could Lessen Inversions
Economists at a May 2 event said that to avoid corporate inversions of the kind proposed by Pfizer Inc., theywould reduce or eliminate the corporate income tax, but they did not agree on how to replace the lost revenue.
Speaking at a roundtable discussion at the Fordham University School of Law in New York, Hank Gutman of KPMG LLP said that to avoid inversions, hewould reduce the corporate income tax rate to about 15 percent and remain on aworldwide international system of taxation to reduce the pressure on transfer pricing.
For the story, go here. (subscription required)
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Participants in OECD's work on NEPS action plan emphasis importance of multilateralism
Politicians, officials and taxpayers spelled out the need for the outcomes of the BEPS project towork for companies and governments at the European Tax Policy Forum annual conference in London thisweek.
For the story, go here.
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Collier blasts "disgusting" tax planning at Lord Mayor's conference
The ethics of tax planningwere the subject of some lively conversation during the Lord Mayor of London's conference on tax competition and cooperation.
For the story, go here.
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Countries slow race to bottom on tax competition
The proposed takeover of UK-listed drug group AstraZeneca by Pfizer of the US has reignited the debate over tax competition between countries.
A study by KPMG, the professional services group, published lastweek found that nearly one in six countries had cut their corporate tax rates over the past 15 months, but that the size of the cutswas smaller than in the past.
For the story, go here.
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Tax Break Blarney: U.S. Companies Beat the System With Irish Addresses
Randall Hogan chairs the Federal Reserve Bank of Minneapolis. Sandy Cutler ran the Greater Cleveland Partnership. Tony Petrello donated $5 million to the Texas Children's Hospital.
They're all chief executive officerswho have given back to their communities. They oversee thousands of Americanworkers. And they run companies that have opted out of the U.S. tax system.
For the story, go here.
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Exclusive: Curbing tax-driven business moves abroad a priority - Treasury
The Obama administration is focused on findingways to curb tax-motivated reincorporations to other countries by U.S. businesses, a U.S. Treasury official told Reuters onwednesday.
"Cracking down on companies that reincorporate overseas to reduce their U.S. taxes is a priority for the administration," a Treasury official said in an emailed statement.
For the story, go here.
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European Court Rejects British Challenge to Tax on Trading
The top court in the European Union onwednesday cleared a legal obstacle to a proposed tax on financial transactions, a plan bitterly opposed by bankers in London.
European Union finance ministers plan to meet early nextweek to discuss next steps for setting up the tax, though the British governmentwarned it could bring a further case against the plan.
For the story, go here.
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Profit Shifting: Treasury Official Says CBC Reporting Can Be Implemented Without Legal Change
As it is currentlywritten, the Organization for Economic Cooperation and Development's proposal for country-by-country reporting can likely be implemented by the U.S.without a change in current law, a Treasury official said.
For the story, go here. (subscription required)
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U.S. Checking Technical Proficiency of BEPS Proposals
The United States has beenworking aggressively to ensure that the contents of the OECD's base erosion and profit-shifting discussion drafts are technically sound and accurately reflect the positions of the various countries that are party to the BEPS project, according to Robert Stack, Treasury deputy assistant secretary (international tax affairs).
For the story, go here. (subscription required)
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European Union: EU Transactions Tax Negotiations to Intensify After European Court Rejects Legal Challenge
Legislativework to finalize a financial transactions tax (FTT) in 11 European Union member stateswill intensify after the European Court of Justice rejected a U.K. challenge.
The U.K. said that negotiations on the FTTwere illegally based on a legislative procedure that defied EU law requiring unanimous consent of all 28 member states on tax issues.
In an expedited April 30 ruling (C-209/13), the EU high court insisted the U.K. argued on the merits and impact of the FTT and not on the substance of the legal procedure.
For the story, go here. (subscription required)
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Profit Shifting: BEPS Could Lead to International Chaos' If Not Managed Well, IRS Official Cautions
An international project to combat base erosion and profit shifting has led to increases in tax controversies, and it isn't yet clear that the BEPS effortwill pay off for taxpayers hoping for more certainty, an Internal Revenue Service official said April 30.
"If there is a deliberative process, albeit under a compressed timeline, that results in some consensus around these difficult issues,wewill have taken a giant step forward. But if not, it could easily become international tax chaos. Andwe are very concerned about that,"said Samuel Maruca, director of transfer pricingwith the IRS.
For the story, go here. (subscription required)
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Profit Shifting: Treasury Said to Seek U.S. Crackdown On Corporations Making Offshore Tax Deals
The U.S. government probably can't take regulatory action to stop companies from lowering tax bills through deals that put their legal addresses outside the country, John Koskinen, commissioner of the Internal Revenue Service, said.
Pfizer Inc. has proposed the biggest such deal yet, a $98.7 billion takeover of AstraZeneca Plc thatwould move the largest U.S. drugmaker to the U.K. for tax purposes and lower its tax rate.
For the story, go here. (Subscription required)
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Top earners capturing growing share of total income in many countries, says OECD
The share of the richest 1% in total pre-tax income have increased in most OECD countries over the past three decades. This rise is the result of the top 1% capturing a disproportionate share of overall income growth over that timeframe: up to 37% in Canada and 47% in the United States, according to new OECD analysis.
For the report, go here.
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Economic Experts Agree: U.S. Tax Code Encourages Companies to Relocate Abroad
Lastweek, two former Administration officialsweighed in on the need to update our tax code so it discourages businesses from relocating overseas for tax purposes. Both Austan Goolsbee, the former Chairman of the Council of Economic Advisers and Davidwalker, the former U.S. Comptroller General addressed this issue and discussedways to make the U.S. more competitive.
For the release, go here.
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Properly Valuing Intangibles Transferred to Foreign Subsidiaries
Drawing from Veritas, this article demonstrates that the value of intangibles licensed exclusively to a foreign subsidiary is properly determined by separately valuing only the preexisting intangibles over their remaining useful lives,with no added value for later developed intangibles, goodwill, going concern value,workforce in place, business opportunities, and synergies.
For the article, go here. (subscription required)
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Commentators Question Assertions in OECD's BEPS Action Plan
As details of the OECD's base erosion and profit-shifting action plan are revealed and stakeholders consider the first rounds of OECD recommendations, questions and critiques are starting to proliferate.
For the story, go here. (subscription required)
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ECJ strikes down George Osbornes FTT challenge
George Osborne, the Chancellor of the Exchequer, has lost his appeal against a European financial transaction tax (FTT), but further challenges over the substantive issues are expected.
For the story, go here.
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FACT Urges House Ways & Means Committee to Let Sleeping Tax Extenders Lie
The Houseways and Means Committee should vote against reviving and making permanent the expired controlled foreign corporation look-through and active financing rules,which "benefit tax dodging corporations at the expense of the rest of us," the Financial Accountability and Corporate Transparency Coalition urged in an April 28 release.
For the release, go here.
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Dealbook: Pfizer Proposes a Marriage With AstraZeneca, Easing Taxes in a Move to Britain
Pfizer, the maker of best-selling drugs like Lipitor and Viagra and a symbol of business prowess in the United States for more than a century, no longerwants to be an American company.
On Monday, Pfizer proposed a $99 billion acquisition of its British rival AstraZeneca thatwould allow it to reincorporate in Britain. Doing sowould allow Pfizer to escape the United States corporate tax rate and tap into a mountain of cash trapped overseas, saving it billions of dollars each year and making the company more competitivewith other global drug makers.
For the story, go here.
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European Union: Europe's G-5 Finance Ministers Vow Strong Action on Tax Evasion, BEPS
Top finance officials from the European Union's leading economies have agreed to push for EU-wide measures to implement the international action plan to fight base erosion and profit shifting, according to a statement by the French ministry of finance.
At an April 28 meeting in Paris, ministers from France, Germany, Italy, Spain and the U.K. agreed to "encourage"the European Commission to review EU corporate taxation law, assess its impact on aggressive tax planning practices and propose necessary measures to systematically implement measures to fight BEPS, the statement said.
For the story, go here. (subscription required)
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OECD Members Divided Over Tax Treatment of Digital Economy
While participants at the OECD's April 23 consultation on the digital economy generally agreed that electronic commerce is not a separately definable sector that could be subject to ring-fencing, business and nonbusiness representativeswere divided over the need for specific rules to address the digital delivery of products.
For the story, go here.
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European Union: Nations Seeking EU Transactions Tax Remain Divided on What to Include
European Union countries thatwant a financial transactions tax remain deadlocked onwhat trades they should include, EU documents show.
With time running out before May's European Parliament elections, the 11 participating countries remain divided onwhether to tax all derivatives, only equity derivatives or no derivatives at all. The governments also haven't agreed onwhere to collect the tax,which proposals suggest could be imposed by a trading firm's country of origin or in the nationwhere trading takes place, according to the documents.
For the story, go here. (Subscription required)
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Tuesday is decision day for European Court on UK financial transaction tax challenge
The European Court of Justice is set to release its ruling on the UK's challenge to the proposed EU financial transaction tax (FTT).
For the story, go here.
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Challenges multinationals may face in completing the OECD's country-by-country reporting template
On 30 January 2014, the Organisation for Economic Cooperation and Development (OECD) released a discussion draft on transfer pricing documentation and country by country reporting (CBCR)which included a template for country by country reporting of income, taxes, and economic activity (CBCR template).
This publication focuses on some of the challenges MNEs may face in compiling information thatwould be required to be disclosed in the CBCR template.
For the report, go here.
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The Tax Reform That Just Won't Die and Shouldn't
This paper provides an historical overview of tax reformwith an eye toward identifying conditions thatwould make successful reform plausible in the near future. Burman begins by analyzing the environment that led to tax reform in 1986 and posits that successful reformwould require strong leadership from thewhite House, bipartisan support, and a new source thatwould make possible substantial income tax rate cuts of thiswhile addressing the concerns of Republicans that new revenueswould fuel a growth in government and of Democrats about progressivity.
For the paper, go here.
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CEOs acknowledge tax as a factor in business location decisions
Corporate taxpayers say tax is an influential factorwhen an international business is decidingwhere to locate itself.
For the story, go here.
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France latest move ahead of OECD on BEPS with hybrid mismatch guidelines
French authorities have released draft guidelines for legislation enacted at the end of December targeting hybrid mismatch arrangements, an aspect of international tax practice the OECD is also seeking to tackle as part of its BEPS Action Plan.
For the story, go here.
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Information Reporting: EY Practitioners Urge Taxpayers to Monitor Global Information Sharing, IRS Audit Focus
Taxpayers need to pay close attention to a growing focus from tax authorities both in the U.S. and abroad, EY LLP practitioners said at the firm's annual domestic tax conference.
The sharply increasing cooperation on tax information sharing between countries is likely to be "a huge burden on tax departments,"said Michael Mundaca, co-director of EY's National Tax Department.
For the story, go here. (subscription required)
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Profit Shifting: Stack: BEPS Plan Doesn't Aim to Create Sector-Specific Rules for Digital Economy
Recent proposals to fight base erosion and profit shifting in the so-called digital economy aren't aimed at "ring fencing" that economy but rather at identifying characteristics in it that might contribute to BEPS so that proposals for dealingwith those characteristics can be developed, a high-level U.S. tax official said.
For the story, go here. (Subscription required)
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Italian trading volumes plummet after introduction of FTT
Trade in Italian equities has fallen by 30% since the country introduced the controversial financial transaction tax, according to Credit Suisse.
For the story, go here.
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How To Tax Multinationals Hiding Behind The Tree? Use The Mighty U.S. Consumer
No, not all tax policy ideas come out ofwashington, D.C. Bill (William H.) Parks, a retired finance professor and founder of NRS, Inc., an Idaho-based paddle-sports accessories makerwith $30 million plus in annual sales, has been promoting an idea for taxing the profits of multinational corporations that's borrowed from the states. Simply put, the IRSwould determine the share of a company's earnings taxable in the U.S. based solely on the share of its sales made to U.S. consumers, the biggest spenders in theworld.
For the article, go here.
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Profit Shifting: BEPS Plan to Address Digital Economy Issues Holistically, OECD's Russo Says
The Organization for Economic Cooperation and Development's project to combat base erosion and profit shifting (BEPS) is taking a holistic approach to addressing stateless income involving the digital economy, according to Raffaele Russo, head of the project.
For the story, go here. (subscription required)
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Canadian Changes for Inbound Investment
Two hundred years ago, the United States tried to annex Canada. Thewar of 1812 didn't go sowell. Canada remained independent. It became the largest U.S. trading partner. It also retained its own corporate tax system,which, drafted in the British style, manages to be even more complicated and dysfunctional than the U.S. system.
Gordonwarnke of Linklaters and Firoz Ahmed of Osler, Hoskin & Harcourt LLP talked about new rules for U.S. investments in Canada at the April 23 International Tax Institute lunch in New York. Ahmed, a Canadian, described the rules,whilewarnke commented from a U.S. planning perspective.
For the story, go here. (Subscription required)
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OECD: OECD's De Ruiter: Interaction of Treaty Rules, Special Measures Must Not Cause Double Tax
Special transfer pricing measures developed in the context of the Organization for Economic Cooperation and Development's project on base erosion and profit shiftingwill have to be evaluated to ensure their interactionwith international tax treaties does not produce unintended double taxation, a top OECD transfer pricing official said during an April 15 public consultation on treaty issues.
"The [OECD]will need to assess how these measures are reflected in domestic law and how they interactwith treaty obligations. Itwas never the intention that in developing treaty rules and special measures that the end resultwould be double taxation," said Marlies de Ruiter, head of the OECD's division on tax treaties, transfer pricing and financial transactions.
For the story, go here. (subscription required)
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Cross-border tax avoidance and evasion A developing Asia perspective
Satoru Araki, of the Asian Development Bank, argues that more regional cooperationwill help developing countries in Asia to contribute better to the discussion about changing international tax rules and to improve their tax administration capacity.
For the story, go here.
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Osborne hands HMRC greater powers to clamp down on tax haven use
by Matthew Gilleard (ITR)
UK Chancellor of the Exchequer George Osborne is granting HMRC new powers to prosecute thosewho evade taxes by stashing money offshore. The tax authoritywill no longer have to prove that a taxpayer intentionally evaded taxes.
For the story, go here.
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News Analysis: When Should Transfer Pricing Disregard Contracts?
In news analysis, Lee A. Sheppard discusses the treatment of intragroup transactions in the OECD's transfer pricing guidelines.
For the analysis, go here. (subscription required)
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U.S. Views on Treaty LOB and Main Purpose Test Draw Skepticism
At the OECD's April 14-15 treaty abuse consultation in Paris, a contingent of U.S. practitioners and business representatives urged the OECD not to include a main purpose test in its proposed limitation on benefits article, but at least one top OECD official didn't seem to be swayed by their arguments.
For the story, go here. (subscription required)
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News Analysis: An Alternative View of Country-by-Country Reporting
One thousand pages of critical comments notwithstanding, at least some practitioners view country-by-country reporting as a net positive. Transfer pricing experts are eagerly looking forward to having their clients provide quality data.
For the story, go here. (subscription required)
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Profit Shifting: Developing Nations Call UN-Backed Policies Key to Victory in Fight Against Tax Evasion
A tougher global stance against tax evasion and profit shifting may be especially beneficial to developing nations, but issueswith corruption and politics may remain as obstacles, officials said at a summit in Mexico City.
For the story, go here. (subscription required)
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BEPS Discussion Draft on Transfer Pricing Documentation And Country-by-Country Reporting
Philip Morrison of Deloitte Taxwrites that the OECD's discussion draft on transfer pricing documentation and country-by-country reporting raises compliance and confidentiality concerns for affected multinational enterprises.
For the article, go here. (subscription required)
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France releases draft guidelines on new hybrid mismatch rules
The French tax authorities on April 15, 2014, released draft guidelines regarding the legislation enacted on December 30, 2013, targeting hybrid mismatch arrangements.
US multinationalswith French subsidiaries or branches should review their financing structures in light of these guidelines to ensure that the interest borne by their French affiliates is tax deductible.
For the PwC Insight, go here.