OECD REITs Report and Model Convention Update. Luis Nouel, IBFD Amsterdam

Size: px
Start display at page:

Download "OECD REITs Report and Model Convention Update. Luis Nouel, IBFD Amsterdam"

Transcription

1 OECD REITs Report and Model Convention Update Luis Nouel, IBFD Amsterdam

2 Agenda Treaty entitlement of REITS Distributions Capital gains Cross-border situations

3 General characteristics of REITs REITS varies from country to country. The 2008 report specifies that in general REITS are: Formed as companies, trusts or contractual or fiduciary arrangements; Widely held; Income from long-term investment in immovable property; Distribute most of that income annually; and Do not pay income tax: Tax exemption Flow-through Dividend Deduction Exemption for Eligible Income Taxation on Net Asset Value

4 Treaty entitlement Wording of Art. 1 of the OECD Model requires person + resident Can a REIT be a person? Can it be a Resident? Entitlement is important, not only for application of the treaty provisions to the income of the REIT, but also as regards the application of tax treaties to the distributions of a REIT.

5 Distributions Art. 10 OECD Model 1. Dividends paid by a company which is a resident of a Contracting State to a resident of the other Contracting State may be taxed in that other State. 2. However, such dividends may also be taxed in the Contracting State of which the company paying the dividends is a resident and according to the laws of that State, but if the beneficial owner of the dividends is a resident of the other Contracting State, the tax so charged shall not exceed... Payer must be a company resident in the source country

6 Alternative wording on Art policy considerations Country R No common treatment: Companies Art. 10 Others depends Country S REITCo Country where the immovable property is located should have primary right to tax, so... Income from immovable property or dividends?

7 Alternative wording on Art policy considerations Large Investor Dividend income may be regarded as nothing more than the allocation of income derived primarily from immovable property to a share underlying income Small Investor Just looking for a return on an investment No limitation on source taxation Limitation on source as portfolio equity investment

8 Alternative wording on Art. 10 corporate REITS 2. However, such dividends may also be taxed in the Contracting State of which the company paying the dividends is a resident and according to the laws of that State, but if the beneficial owner of the dividends is a resident of the other Contracting State (other than a beneficial owner of dividends paid by a company which is a REIT in which such person holds, directly or indirectly, capital that represents at least 10 per cent of the value of all the capital in that company), the tax so charged shall not exceed:...

9 Alternative wording on Art. 10 corporate REITS (cont)... a) 5 per cent of the gross amount of the dividends if the beneficial owner is a company (other than a partnership) which holds directly at least 25 per cent of the capital of the company paying the dividends (other than a paying company that is a REIT); b) 15 per cent of the gross amount of the dividends in all other cases.

10 Distributions InvestCo1 InvestCo2 15% 2% Country R Country S Unlimited taxation Art.10(2) Modified REITCo Limited taxation at source 15% Art. 10(2)b

11 Alternative wording on Art. 10 Special cases Optional wording of Art. 10(1) for non-resident corporate REITS: Dividends paid by a company which is a resident, or a REIT organized under the laws, of a Contracting State to a resident of the other Contracting State may be taxed in that other State. Optional wording of Art. 10(2) for non-corporate REITS For the purposes of this Convention, where a REIT organized under the laws of a Contracting State makes a distribution of income to a resident of the other Contracting State who is the beneficial owner of that distribution, the distribution of that income shall be treated as a dividend paid by a company resident of the first-mentioned State.

12 Capital Gains Gains obtained by large investors should be treated as per Art. 13(4) Gains obtained by small investors should be treated as gains from securities rather than an indirect holding in immovable property Art.13(5) Shares of REITCo InvestCo1 InvestCo2 Shares of REITCo 15% 2% Country R Country S Unlimited taxation Art. 13(4) Taxation restricted by Art. 13(5) REITCo

13 Capital Gains - Flow-through REIT Units InvestCo1 InvestCo2 REIT Units 15% 2% Country R Country S REIT Unlimited taxation Art. 13(1) S-R treaty

14 Cross border investments InvestCo1 InvestCo2 15% 2% Country X Country R Unlimited taxation? Art.10(2) Modified REITCo Limited taxation at source - 15% Country S Unlimited taxation Art. 6

15 Cross border investments InvestCo1 InvestCo2 Country Y 15% 2% Country X Unlimited taxation? REITCo1 Limited taxation at source - 15% Country R 15% Unlimited taxation? REITCo2 Country S Unlimited taxation Art. 6

16 Thank you

Overview. Preserving domestic law restrictions on the deduction of rent or royalties. Introduction

Overview. Preserving domestic law restrictions on the deduction of rent or royalties. Introduction Overview Negotiation of tax treaties to prevent base erosion with respect to rent and royalties (I) Wednesday, 8 November 2017 (Session 3) Capacity Building Unit Financing for Development Office Department

More information

Principles of International Taxation

Principles of International Taxation Overview and Learning Objectives This course is designed to provide participants with the essentials of international taxation. The first three days are dedicated to the fundamental concepts relevant to

More information

PASSIVE INCOMES DIVIDEND, INTEREST & CAPITAL GAINS BASIC CONCEPTS. CA Kusuma Yathish B.Com, LLB, FCA PARTNER M/S. SHEKAR & YATHISH 1/23/2010

PASSIVE INCOMES DIVIDEND, INTEREST & CAPITAL GAINS BASIC CONCEPTS. CA Kusuma Yathish B.Com, LLB, FCA PARTNER M/S. SHEKAR & YATHISH 1/23/2010 DIVIDEND, INTEREST & CAPITAL GAINS BASIC CONCEPTS Workshop on Basics of International Taxation Institute of Chartered Accountants of India CA Kusuma Yathish B.Com, LLB, FCA PARTNER M/S. SHEKAR & YATHISH

More information

TAX LAW. Academic Year 2016 / 2017

TAX LAW. Academic Year 2016 / 2017 TAX LAW Academic Year 2016 / 2017 AGENDA - Session 5- a) The OECD Model Convention b) The OECD Commentary c) UN MODEL Required readings: Introduction to the OECD MC; Art.1 and Art 2 of the OECD MC; and

More information

CPE STUDY CIRCLE MEETING FOREIGN TAX CREDIT MAY 2016

CPE STUDY CIRCLE MEETING FOREIGN TAX CREDIT MAY 2016 CPE STUDY CIRCLE MEETING FOREIGN TAX CREDIT MAY 2016 INTRODUCTION Objectives of a tax treaty Elimination of double taxation Clarification of fiscal situation of tax payers Certainty on nature of income

More information

AS A CREDIBLE FINANCIAL CENTRE

AS A CREDIBLE FINANCIAL CENTRE CYPRUS REPUTATION IS ENCHANCED AS A CREDIBLE FINANCIAL CENTRE Introduction On the 7th October 2010 the President of the Russian Federation Mr. Dmitry Medvedev during his official visit to Cyprus signed

More information

TAXATION OF NON RESIDENT SERVICE PROVIDERS

TAXATION OF NON RESIDENT SERVICE PROVIDERS TAXATION OF NON RESIDENT SERVICE PROVIDERS Capacity Building on Tax Treaty Administration New York, 30 31 May 2013 Ariane Pickering Source taxation under UN Model Articles 5 & 7 Business Profits Profits

More information

UvA-DARE (Digital Academic Repository)

UvA-DARE (Digital Academic Repository) UvA-DARE (Digital Academic Repository) Response from IBFD Research Staff to: Clarification of the Meaning of 'Beneficial Owner' in the OECD Model Tax Convention van Boeijen-Ostaszewska, A.; de Goede, J.;

More information

ACTL Conference on REITs

ACTL Conference on REITs ACTL Conference on REITs Recent tax treaty developments and their implications for REITs November 14, 2014 Prof. Arnaud de Graaf degraaf@law.eur.nl 0.0- Introduction 1. REITs in cross-border context 2.

More information

Overview. Provisions of the UN / OECD Models dealing with the taxation of rent/royalties. Art. 6

Overview. Provisions of the UN / OECD Models dealing with the taxation of rent/royalties. Art. 6 Overview Analysis of the treatment of rent and royalty payments under the provisions of tax treaties Tuesday, 7 November 2017 (Session 2) Provisions of the UN and OECD Models dealing with the taxation

More information

IBFD Course Programme Practical Aspects of Tax Treaties

IBFD Course Programme Practical Aspects of Tax Treaties IBFD Course Programme Practical Aspects of Tax Treaties Overview and Learning Objectives With increasing cross-border investments, taxpayers may be confronted with double taxation. For over a century,

More information

Note Provided by the Coordinator of the Working Group on General Issues in the Review of Commentaries

Note Provided by the Coordinator of the Working Group on General Issues in the Review of Commentaries United Nations E/C.18/2009/CRP.5 Distr.: General 14 October 2009 Original: English Committee of Experts on International Cooperation in Tax Matters Fifth Session Geneva, 19-23 October 2009 Item 6 (j) of

More information

SA/Mauritius DTA changes & challenges. Celia Becker 26 & 27 March 2015

SA/Mauritius DTA changes & challenges. Celia Becker 26 & 27 March 2015 SA/Mauritius DTA changes & challenges Celia Becker 26 & 27 March 2015 content background changes & challenges conclusion effective date questions and discussion background background current SA / Mauritius

More information

1. Purpose This Note provides guidance on the application of the proviso to the definition in section 41(1).

1. Purpose This Note provides guidance on the application of the proviso to the definition in section 41(1). INTERPRETATION NOTE: NO. 75 (ISSUE 2) DATE: 22 September 2014 ACT : INCOME TAX ACT NO. 58 OF 1962 SECTION : SECTIONS 1(1) AND 41(1) SUBJECT : EXCLUSION OF CERTAIN COMPANIES AND SHARES FROM A GROUP OF COMPANIES

More information

New Chinese-Swiss Double Tax Treaty

New Chinese-Swiss Double Tax Treaty www.pwc.com New Chinese-Swiss Double Tax Treaty Most important changes By Kelvin Lee Kelvin Lee Director China Tax & Business Advisory Services Tel: +86 (10) 6533 3068 Email: kelvin.lee@cn.pwc.com Kelvin

More information

QUESTIONNAIRE ON THE TREATMENT OF INTEREST PAYMENTS AND RELATED TAX BASE EROSION ISSUES

QUESTIONNAIRE ON THE TREATMENT OF INTEREST PAYMENTS AND RELATED TAX BASE EROSION ISSUES QUESTIONNAIRE ON THE TREATMENT OF INTEREST PAYMENTS AND RELATED TAX BASE EROSION ISSUES This questionnaire should be completed by participants in United Nations capacity development programs on protecting

More information

International Taxation Issues for EI

International Taxation Issues for EI Philip Daniel Fiscal Affairs Department International Monetary Fund International Taxation Issues for EI Natural Resource Charter Annual Conference Oxford: June 12, 2014 Overview International tax hits

More information

Principles of International Tax Planning

Principles of International Tax Planning Overview and Learning Objectives This course is aimed at analysing the fundamentals of international tax planning in a structured and consistent manner, deepening the knowledge of tax planning techniques

More information

IBFD Course Programme International Tax Planning after BEPS and the MLI

IBFD Course Programme International Tax Planning after BEPS and the MLI IBFD Course Programme International Tax Planning after BEPS and the MLI Summary Recent developments such as the BEPS project and the Multilateral Instrument in international taxation, but also unilateral

More information

Previous OECD work on hybrids concluded that hybrid mismatch arrangements:

Previous OECD work on hybrids concluded that hybrid mismatch arrangements: BEPS and Hybrids Panelists Achim Pross, Head of International Cooperation and Tax Administration, OECD Martin Kreienbaum, Director General International Taxation, Germany Douglas Poms, Senior Tax Counsel,

More information

Crossing Borders: International Acquisitions and Related Tax Issues, 2nd Edition John Giakoumakis, B.Sc., M.A., C.A., C.P.A.

Crossing Borders: International Acquisitions and Related Tax Issues, 2nd Edition John Giakoumakis, B.Sc., M.A., C.A., C.P.A. PREFACE TO THE 2nd EDITION ACKNOWLEDGEMENTS TO THE 2nd EDITION 1 THE ACQUISITION AND THE ROLE OF TAXES 1.1 INTRODUCTION AND PURPOSE 1.2 THE ACQUISITION TRANSACTION STAGES AND TAXES 1.3 THE MULTIDISCIPLINARY

More information

Recent OECD Developments

Recent OECD Developments Recent OECD Developments Key OECD tax projects Main tax treaty issues under consideration 2002 Update of the OECD Model T C Permanent establishment clarifications 1 Key OECD Projects Update Harmful tax

More information

PROTOCOL. Have agreed as follows:

PROTOCOL. Have agreed as follows: PROTOCOL AMENDING THE CONVENTION BETWEEN THE GOVERNMENT OF THE REPUBLIC OF AUSTRIA AND THE GOVERNMENT OF THE RUSSIAN FEDERATION FOR THE AVOIDANCE OF DOUBLE TAXATION WITH RESPECT TO TAXES ON INCOME AND

More information

THE TAX TREATY TREATMENT OF SERVICES: PROPOSED COMMENTARY CHANGES Public discussion draft 8 December 2006

THE TAX TREATY TREATMENT OF SERVICES: PROPOSED COMMENTARY CHANGES Public discussion draft 8 December 2006 ORGANISATION FOR ECONOMIC CO-OPERATION AND DEVELOPMENT THE TAX TREATY TREATMENT OF SERVICES: PROPOSED COMMENTARY CHANGES Public discussion draft 8 December 2006 CENTRE FOR TAX POLICY AND ADMINISTRATION

More information

IBFD Course Programme Principles of International Taxation

IBFD Course Programme Principles of International Taxation IBFD Course Programme Principles of International Taxation Need a good base to start your career in international tax? This course will provide the essential knowledge you need and give you the confidence

More information

International Taxation of Income from Cross-Border Services

International Taxation of Income from Cross-Border Services International Taxation of Income from Cross-Border Services International Taxation Conference Mumbai, India December 2, 2006 Carol A. Dunahoo Baker & McKenzie LLP, Washington, DC Baker & McKenzie International

More information

OECD Update. OECD Tax Agenda Overview

OECD Update. OECD Tax Agenda Overview Organisation for Economic Co-operation and Development OECD Update National Foreign Trade Council 2008 Tax Committee Fall Meeting Wintergreen, Virginia October 9, 2008 Mary Bennett Head of Tax Treaty,

More information

School of Aviation Finance. International Tax Issues Impacting the Aviation Leasing Industry. Brian Leonard, Partner, PricewaterhouseCoopers

School of Aviation Finance. International Tax Issues Impacting the Aviation Leasing Industry. Brian Leonard, Partner, PricewaterhouseCoopers School of Aviation Finance International Tax Issues Impacting the Aviation Leasing Industry Brian Leonard, Partner, PricewaterhouseCoopers www.pwc.ie International tax issues impacting the aviation leasing

More information

Double Taxation. Conventions / Agreements. 25 May 2005

Double Taxation. Conventions / Agreements. 25 May 2005 Double Taxation Conventions / Agreements 25 May 2005 Purpose of Agreements To remove barriers to cross-border trade and investment How treaties remove tax barriers Elimination of double taxation Certainty

More information

Impact of the EU11 Financial Transaction Tax Proposal on CIVs and REITs

Impact of the EU11 Financial Transaction Tax Proposal on CIVs and REITs International Hein Vermeulen* Impact of the EU11 Financial Transaction Tax Proposal on CIVs and REITs The author describes the impact of the financial transaction tax, as proposed under the EU11 Financial

More information

SOUTH AFRICA GLOBAL GUIDE TO M&A TAX: 2017 EDITION

SOUTH AFRICA GLOBAL GUIDE TO M&A TAX: 2017 EDITION SOUTH AFRICA 1 SOUTH AFRICA INTERNATIONAL DEVELOPMENTS 1. WHAT ARE RECENT TAX DEVELOPMENTS IN YOUR COUNTRY WHICH ARE RELEVANT FOR M&A DEALS AND PRIVATE EQUITY? In the 2016 Budget Review, tax avoidance

More information

International Taxation Basics

International Taxation Basics International Taxation Basics Dilbert about int l taxation 2 Agenda I. Fundamental questions of int l taxation II. Avoiding double taxation, double tax treaties, the OECD modell convention III. EU directives

More information

Principles of International Taxation

Principles of International Taxation Overview and Learning Objectives This tax course is designed to provide participants with the essentials of international taxation. The first three days are dedicated to the fundamental concepts relevant

More information

The OECD Model. Reconsidering the structure and operation of its distributive rules. Kees van Raad

The OECD Model. Reconsidering the structure and operation of its distributive rules. Kees van Raad The OECD Model Reconsidering the structure and operation of its distributive rules Kees van Raad 16 06 05 OECD is understandably conservative where changes to text of the OECD Model are concerned, but

More information

Committee of Experts on International Cooperation in Tax Matters Fourteenth session

Committee of Experts on International Cooperation in Tax Matters Fourteenth session Distr.: General * March 2017 Original: English Committee of Experts on International Cooperation in Tax Matters Fourteenth session New York, 3-6 April 2017 Agenda item 3(a)(ii) BEPS: Proposed General Anti-avoidance

More information

The Need for a New Australia-Korea Tax Treaty

The Need for a New Australia-Korea Tax Treaty The Need for a New Australia-Korea Tax Treaty John Taylor Professor School of Taxation and Business Law Business School UNSW Hyejung Byun Associate Professor Graduate School of Science in Taxation University

More information

Taxation of financial instruments in a changing world

Taxation of financial instruments in a changing world Taxation of financial instruments in a changing world Edoardo Traversa, Professor, Université Catholique de Louvain/Of Counsel, Liedekerke, Brussels Alain Goebel, Partner, Arendt & Medernach Jan Neugebauer,

More information

Bill of Tax Amendments for 2014 approved by the Lower House of the Mexican Congress

Bill of Tax Amendments for 2014 approved by the Lower House of the Mexican Congress TAX FLASH Tax Consulting 2013-7 Bill of Tax Amendments for 2014 approved by the Lower House of the Mexican Congress The Bill of Tax Amendments submitted by the Executive Branch to the Mexican Congress

More information

Are you taking Russian tax risks? Time to test your Russia-related business. Check your tax risks factors and assess your risks

Are you taking Russian tax risks? Time to test your Russia-related business. Check your tax risks factors and assess your risks Are you taking n tax risks? Time to test your -related business Check your tax risks factors and assess your risks Why is it so important? n tax law is changing. So is the court practice. During times

More information

Russia/Cyprus Tax Treaty final draft Protocol initialed Cyprus soon to be removed from the Russian black list

Russia/Cyprus Tax Treaty final draft Protocol initialed Cyprus soon to be removed from the Russian black list April 2009 Russia/Cyprus Tax Treaty final draft Protocol initialed Cyprus soon to be removed from the Russian black list On 16 April 2009, following a year s intensive meetings and negotiations concluded

More information

EFFECTS ON TRADING AND AND SOLUTIONS

EFFECTS ON TRADING AND AND SOLUTIONS TRANSFER PRICING EFFECTS ON TRADING AND FINANCING CYPRUS COMPANIES AND SOLUTIONS By Marios Efthymiou Managing Director DEFINITIONS Base erosion and profit shifting (BEPS) refers to tax avoidance strategies

More information

Country update: Japan

Country update: Japan www.pwc.com Country update: Japan Jack Bird Partner, Japan Yoko Kawasaki Partner, Japan Agenda Section one Tax reform basic plan Section two 2015 tax reform proposal highlights - Corporate income tax -

More information

BEPS ACTION 2: NEUTRALISE THE EFFECTS OF HYBRID MISMATCH ARRANGEMENTS

BEPS ACTION 2: NEUTRALISE THE EFFECTS OF HYBRID MISMATCH ARRANGEMENTS Public Discussion Draft BEPS ACTION 2: NEUTRALISE THE EFFECTS OF HYBRID MISMATCH ARRANGEMENTS (Treaty Issues) 19 March 2014 2 May 2014 Comments on this note should be sent electronically (in Word format)

More information

Transfer Pricing Country Summary Turkey

Transfer Pricing Country Summary Turkey Page 1 of 8 Transfer Pricing Country Summary Turkey August 2018 Page 2 of 8 Legislation Existence of Transfer Pricing Laws/Guidelines Formal transfer pricing rules were introduced in Turkey on 21 June

More information

New Tax Code of Ukraine, and Risks for Corporate Structures. November 2011

New Tax Code of Ukraine, and Risks for Corporate Structures. November 2011 Beneficial Ownership, New Tax Code of Ukraine, and Risks for Corporate Structures November 2011 Contents 1. Beneficial Ownership Concept History 2. Ukraine: Beneficial Ownership Concept before the Tax

More information

Overview of OECD Action Plan on Base Erosion and Profit Shifting (BEPS)

Overview of OECD Action Plan on Base Erosion and Profit Shifting (BEPS) Overview of OECD Action Plan on Base Erosion and Profit Shifting (BEPS) Monia Naoum, IBFD Research Associate Emily Muyaa, IBFD Research Associate 18 June 2015 1 Introduction: Globalization and its impact

More information

2014 Latin America Tax Summit

2014 Latin America Tax Summit 2014 Latin America Tax Summit Expanding operations through acquisitions Arco Verhulst Global Head of Mergers & Acquisitions Tax, KPMG in the Netherlands Ignacio Sosa Corporate Tax Partner, M&A and Financial

More information

G20 DEVELOPMENT WORKING GROUP

G20 DEVELOPMENT WORKING GROUP G20 DEVELOPMENT WORKING GROUP A REPORT ON THE ISSUES ARISING FROM THE INDIRECT TRANSFER OF ASSETS TO IDENTIFY POLICY OPTIONS TO TACKLE ABUSIVE CASES, WITH PARTICULAR REFERENCE TO DEVELOPING COUNTRIES CONCEPT

More information

New US income tax treaty and protocol with Italy enters into force

New US income tax treaty and protocol with Italy enters into force 22 December 2009 International Tax Alert News and views from Foreign Tax Desks New US income tax treaty and protocol with Italy enters into force Executive summary On 16 December 2009, the United States

More information

Arbitration cases on the Russian Beneficial Ownership Concept

Arbitration cases on the Russian Beneficial Ownership Concept Arbitration cases on the Russian Beneficial Ownership Concept 16 Who is a Beneficial Owner? An entity or an individual that has a right to use and (or) dispose the income; When determining a beneficial

More information

CHAPTER 1 OBJECTIVES AND GENERAL DEFINITIONS ARTICLE 1.1. Objective

CHAPTER 1 OBJECTIVES AND GENERAL DEFINITIONS ARTICLE 1.1. Objective CHAPTER OBJECTIVES AND GENERAL DEFINITIONS ARTICLE. Objective The objective of this Agreement is to enhance the investment relations between the Parties in accordance with the provisions of this Agreement.

More information

TREATY RESIDENCE OF PENSION FUNDS

TREATY RESIDENCE OF PENSION FUNDS TREATY RESIDENCE OF PENSION FUNDS 29 February 2016 DISCUSSION DRAFT ON CHANGES TO THE OECD MODEL TAX CONVENTION CONCERNING THE TREATY RESIDENCE OF PENSION FUNDS Paragraph 12 of the final version of the

More information

CONCEPT OF BENEFICIAL OWNERSHIP: DISCUSSION OF KEY ISSUES AND PROPOSALS FOR CHANGES TO THE UN MODEL COMMENTARY*

CONCEPT OF BENEFICIAL OWNERSHIP: DISCUSSION OF KEY ISSUES AND PROPOSALS FOR CHANGES TO THE UN MODEL COMMENTARY* United Nations E/C.18/2010/CRP.9 Distr.: General 12 October 2010 Original: English Committee of Experts on International Cooperation in Tax Matters Sixth Session Geneva, 18-22 October 2010 Item 3 (k) of

More information

E/C.18/2018/CRP.7. Distr.: General 11 May Original: English

E/C.18/2018/CRP.7. Distr.: General 11 May Original: English Distr.: General 11 May 2018 Original: English Committee of Experts on International Cooperation in Tax Matters Sixteenth session New York, 14 17 May 2018 Item 3 (c) (iv) of the provisional agenda Treatment

More information

E/C.18/2018/CRP.10. Distr.: General 2 October Original: English. Summary

E/C.18/2018/CRP.10. Distr.: General 2 October Original: English. Summary Distr.: General 2 October 2018 Original: English Committee of Experts on International Cooperation in Tax Matters Seventeenth session Geneva, 16-19 October 2018 Item 3 (c) (iv) of the provisional agenda

More information

MULTILATERAL CONVENTION TO IMPLEMENT TAX TREATY RELATED MEASURES TO PREVENT BASE EROSION AND PROFIT SHIFTING

MULTILATERAL CONVENTION TO IMPLEMENT TAX TREATY RELATED MEASURES TO PREVENT BASE EROSION AND PROFIT SHIFTING MULTILATERAL CONVENTION TO IMPLEMENT TAX TREATY RELATED MEASURES TO PREVENT BASE EROSION AND PROFIT SHIFTING The Parties to this Convention, Recognising that governments lose substantial corporate tax

More information

Alder & Sound Mannerheimintie 16 A FI Helsinki The Finnish Transfer Pricing Firm of the Year

Alder & Sound Mannerheimintie 16 A FI Helsinki   The Finnish Transfer Pricing Firm of the Year Alder & Sound Mannerheimintie 16 A FI-00100 Helsinki firstname.lastname@aldersound.fi www.aldersound.fi The Finnish Transfer Pricing Firm of the Year in 2017, 2015 & 2011 The European Tax Technology Firm

More information

Foreign tax credit A Practical insight

Foreign tax credit A Practical insight Foreign tax credit A Practical insight - CA Vishal Palwe 13 October 2012 1 Meaning of International Double Taxation Juridical double taxation Imposition of income taxes by two or more states on the same

More information

C O N V E N T I O N BETWEEN THE SWISS FEDERAL COUNCIL AND THE GOVERNMENT OF THE KINGDOM OF SAUDI ARABIA

C O N V E N T I O N BETWEEN THE SWISS FEDERAL COUNCIL AND THE GOVERNMENT OF THE KINGDOM OF SAUDI ARABIA C O N V E N T I O N BETWEEN THE SWISS FEDERAL COUNCIL AND THE GOVERNMENT OF THE KINGDOM OF SAUDI ARABIA FOR THE AVOIDANCE OF DOUBLE TAXATION WITH RESPECT TO TAXES ON INCOME AND ON CAPITAL AND THE PREVENTION

More information

Annual International Bar Association Conference Sydney, Australia. Recent Developments in International Taxation. Republic of Cyprus

Annual International Bar Association Conference Sydney, Australia. Recent Developments in International Taxation. Republic of Cyprus Annual International Bar Association Conference 2017 Sydney, Australia Recent Developments in International Taxation Republic of Cyprus Venetia Argyropoulou European University of Cyprus v.argyropoulou@euc.ac.cy

More information

Agreement. Between THE KINGDOM OF SPAIN and THE GOVERNMENT OF THE REPUBLIC OF ALBANIA

Agreement. Between THE KINGDOM OF SPAIN and THE GOVERNMENT OF THE REPUBLIC OF ALBANIA Agreement Between THE KINGDOM OF SPAIN and THE GOVERNMENT OF THE REPUBLIC OF ALBANIA for the avoidance of double taxation and the prevention of fiscal evasion with respect to taxes on income. The Kingdom

More information

SELECTED ASPECTS OF THE TAXATION OF FOREIGN ENTITIES IN SLOVAK TAX LAW

SELECTED ASPECTS OF THE TAXATION OF FOREIGN ENTITIES IN SLOVAK TAX LAW 2 SELECTED ASPECTS OF THE TAXATION OF FOREIGN ENTITIES IN SLOVAK TAX LAW Ing. Vladimír Podolinský, Mgr. Juraj Vališ In the context of the globalising economy it is becoming ever more frequent that a business

More information

Chapter 5. The Relevance of Residence Under EC Tax Law

Chapter 5. The Relevance of Residence Under EC Tax Law Chapter 5 The Relevance of Residence Under EC Tax Law by Luc De Broe 1 This chapter does not aim at exhaustively discussing the Community law aspects of residence of individuals in the field of direct

More information

Overview of Practical Portfolio

Overview of Practical Portfolio United Nations Practical Portfolio: Protecting the Tax Base of Developing Countries with respect to Base Eroding Payments of Interest Brian Arnold Senior Adviser Canadian Tax Foundation UN-ITC Workshop

More information

Protocol to New Zealand-U.S. treaty: A New Zealand perspective

Protocol to New Zealand-U.S. treaty: A New Zealand perspective Protocol to New Zealand-U.S. treaty: A New Zealand perspective The 2008 protocol updating the New Zealand-U.S. tax treaty came into force on 12 November 2010. The protocol provides for significantly more

More information

Proposed Amendments to the Interests and Royalties Directive 2003/49/EC : Toward an harmonization with the Parent / Subsidiary Directive

Proposed Amendments to the Interests and Royalties Directive 2003/49/EC : Toward an harmonization with the Parent / Subsidiary Directive Proposed Amendments to the Interests and Royalties Directive 2003/49/EC : Toward an harmonization with the Parent / Subsidiary Directive Vincent Agulhon April 13, 2012 1 I - Directive 2003/49/EC : The

More information

Convention between Canada and the Republic of Chile for the Avoidance of Double Taxation and the...

Convention between Canada and the Republic of Chile for the Avoidance of Double Taxation and the... Page 1 of 11 Français Contact Us Help Search Canada site Home What's New Site Map Glossary HotLinks About Us FAQ Media Room Publications Legislation - Notices of Tax Treaty Developments - Status of Tax

More information

Partnerships: French domestic and international tax law perspective

Partnerships: French domestic and international tax law perspective Partnerships: French domestic and international tax law perspective Master II DFA Rennes Law School 1 May 2018 2 Introduction Introduction French distinction between corporations and partnerships Two tax

More information

Government Clarifies High-Tax Exception to CFC Rules

Government Clarifies High-Tax Exception to CFC Rules Volume 46, Number 4 April 23, 2007 Government Clarifies High-Tax Exception to CFC Rules by Marco Rossi taxanalysts Government Clarifies High-Tax Exception to CFC Rules Italy s tax administration has ruled

More information

BASE EROSION AND PROFIT SHIFTING

BASE EROSION AND PROFIT SHIFTING BASE EROSION AND PROFIT SHIFTING BEPS issues for developing countries Liselott Kana Head of International Revenue Administration, Chile UN Subcommittee mandate Draw on the experiences of subcommittee members

More information

Beneficial Ownership under Tax Treaties Recent Developments. Marcus Desax Mumbai, International Taxation Conference 5 December 2013

Beneficial Ownership under Tax Treaties Recent Developments. Marcus Desax Mumbai, International Taxation Conference 5 December 2013 Beneficial Ownership under Tax Treaties Recent Developments Marcus Desax Mumbai, International Taxation Conference 5 December 2013 Overview 1. Proposed Changes to the OECD Commentary 2. Recent judgments

More information

CONVENTION BETWEEN THE GOVERNMENT OF THE UNITED KINGDOM OF GREAT BRITAIN AND NORTHERN IRELAND AND THE GOVERNMENT OF THE REPUBLIC OF CYPRUS

CONVENTION BETWEEN THE GOVERNMENT OF THE UNITED KINGDOM OF GREAT BRITAIN AND NORTHERN IRELAND AND THE GOVERNMENT OF THE REPUBLIC OF CYPRUS CONVENTION BETWEEN THE GOVERNMENT OF THE UNITED KINGDOM OF GREAT BRITAIN AND NORTHERN IRELAND AND THE GOVERNMENT OF THE REPUBLIC OF CYPRUS FOR THE ELIMINATION OF DOUBLE TAXATION WITH RESPECT TO TAXES ON

More information

According to the Draft Guidance with reference to the case law of the Federal Tax Court (BFH), profits that were

According to the Draft Guidance with reference to the case law of the Federal Tax Court (BFH), profits that were German Tax Monthly May 2014 May 2014 German Tax Monthly Content 1. 1. Limitation of Corporate Tax Loss Deduction (Draft BMF Guidance) Limitation of Corporate Tax Loss Deduction (Draft BMF Guidance) According

More information

3.2. EU Interest-Royalty Directive Background and force

3.2. EU Interest-Royalty Directive Background and force 3.2. EU Interest-Royalty Directive 3.2.1. Background and force Force The Council Directive (2003/49/EC) on a Common System of Taxation Applicable to Interest and Royalty Payments Made between Associated

More information

ALI-ABA Course of Study Going International: Fundamentals of International Business Transactions. December 7-9, 2006 Washington, D.C.

ALI-ABA Course of Study Going International: Fundamentals of International Business Transactions. December 7-9, 2006 Washington, D.C. 215 ALI-ABA Course of Study Going International: December 7-9, 2006 Washington, D.C. Presentation Slides By, Esquire Baker & McKenzie LLP Chicago, Illinois 216 2 217 Fundamentals of International Business

More information

HOW DOES BEPS IMPACT THE DEFINITION OF A PERMANENT ESTABLISHMENT?

HOW DOES BEPS IMPACT THE DEFINITION OF A PERMANENT ESTABLISHMENT? HOW DOES BEPS IMPACT THE DEFINITION OF A PERMANENT ESTABLISHMENT? June 21, 2017 Today s presenters Senior Manager, RSM US Lisa provides international tax consulting services to U.S. and foreign companies

More information

Taxation of Foreign Passive Income for Group Companies

Taxation of Foreign Passive Income for Group Companies 1 Taxation of Foreign Passive Income for Group Companies By Kotaro Okamoto (Amazon Japan KK) In Japan, CFC rule was adopted in 1978. In principle, Japanese corporations are subject to corporate tax in

More information

Preventing the Granting of Treaty Benefits in Inappropriate Circumstances

Preventing the Granting of Treaty Benefits in Inappropriate Circumstances OECD/G20 Base Erosion and Profit Shifting Project Preventing the Granting of Treaty Benefits in Inappropriate Circumstances ACTION 6: 2014 Deliverable OECD/G20 Base Erosion and Profit Shifting Project

More information

REITs - Tax Consequences for Shareholders. RDI converted to a UK Real Estate Investment Trust ("UK REIT") on 4 December 2013

REITs - Tax Consequences for Shareholders. RDI converted to a UK Real Estate Investment Trust (UK REIT) on 4 December 2013 REITs - Tax Consequences for Shareholders RDI converted to a UK Real Estate Investment Trust ("UK REIT") on 4 December 2013 A UK REIT is a UK company or group that invests in property and enjoys a measure

More information

DOUBLE TAX TREATIES: COMPANIES ICAZ TAX SEMINAR. Presented by M. NGORIMA 22 February 2018

DOUBLE TAX TREATIES: COMPANIES ICAZ TAX SEMINAR. Presented by M. NGORIMA 22 February 2018 DOUBLE TAX TREATIES: COMPANIES ICAZ TAX SEMINAR Presented by M. NGORIMA 22 February 2018 DISCUSSION POINTS 1. What are double tax treaties? 2. Model Treaties 3. OECD Model Treaty Basic template 4. Model

More information

International Tax Issues involving Hybrid Entities

International Tax Issues involving Hybrid Entities Global Tax Advisory Services International Tax Issues involving Hybrid Entities Gaurav Taneja Ernst & Young India Foundation for International Taxation 2006 International Taxation Conference, Mumbai Contents

More information

SWEDEN GLOBAL GUIDE TO M&A TAX: 2017 EDITION

SWEDEN GLOBAL GUIDE TO M&A TAX: 2017 EDITION SWEDEN 1 SWEDEN INTERNATIONAL DEVELOPMENTS 1. WHAT ARE RECENT TAX DEVELOPMENTS IN YOUR COUNTRY WHICH ARE RELEVANT FOR M&A DEALS AND PRIVATE EQUITY? Effective as of 1 January 2016, dividend income is not

More information

China s SAT publishes new rules on beneficial owners

China s SAT publishes new rules on beneficial owners World Tax Advisor Connecting you globally. 23 February 2018 China s SAT publishes new rules on beneficial owners On 3 February 2018, China s State Administration of Taxation (SAT) published new rules (Bulletin

More information

Corporate Tax Issues in the Baltics

Corporate Tax Issues in the Baltics Corporate Tax Issues in the Baltics In the last twenty years the Baltic States has gone through many historical changes. The changes have affected the political system, society, economics, capital market

More information

COMMENTARY ON THE ARTICLES OF THE ATAF MODEL TAX AGREEMENT FOR THE AVOIDANCE OF DOUBLE TAXATION AND THE PREVENTION OF FISCAL EVASION WITH RESPECT TO

COMMENTARY ON THE ARTICLES OF THE ATAF MODEL TAX AGREEMENT FOR THE AVOIDANCE OF DOUBLE TAXATION AND THE PREVENTION OF FISCAL EVASION WITH RESPECT TO COMMENTARY ON THE ARTICLES OF THE ATAF MODEL TAX AGREEMENT FOR THE AVOIDANCE OF DOUBLE TAXATION AND THE PREVENTION OF FISCAL EVASION WITH RESPECT TO TAXES ON INCOME 2 OVERVIEW The ATAF Model Tax Agreement

More information

CONVENTION BETWEEN IRELAND AND THE REPUBLIC OF MOLDOVA FOR THE AVOIDANCE OF DOUBLE TAXATION AND THE PREVENTION OF FISCAL EVASION WITH RESPECT TO TAXES

CONVENTION BETWEEN IRELAND AND THE REPUBLIC OF MOLDOVA FOR THE AVOIDANCE OF DOUBLE TAXATION AND THE PREVENTION OF FISCAL EVASION WITH RESPECT TO TAXES CONVENTION BETWEEN IRELAND AND THE REPUBLIC OF MOLDOVA FOR THE AVOIDANCE OF DOUBLE TAXATION AND THE PREVENTION OF FISCAL EVASION WITH RESPECT TO TAXES ON INCOME Ireland and the Republic of Moldova, desiring

More information

Double Taxation Relief

Double Taxation Relief Università Carlo Cattaneo LUIC International Tax Law a.a. 2017/2018 Double Taxation Relief Prof. Marco Cerrato 1 International Double Taxation Definition International juridical double taxation: «imposition

More information

Draft Administrative Principles

Draft Administrative Principles Draft Administrative Principles for the profit attribution to permanent establishments 8 April 2016 German Tax Alert On 18 March 2016, the German Ministry of Finance (BMF) issued for public discussion

More information

EXPLANATORY MEMORANDUM ON THE DOUBLE TAXATION CONVENTION BETWEEN THE REPUBLIC OF SOUTH AFRICA AND THE REPUBLIC OF MOZAMBIQUE

EXPLANATORY MEMORANDUM ON THE DOUBLE TAXATION CONVENTION BETWEEN THE REPUBLIC OF SOUTH AFRICA AND THE REPUBLIC OF MOZAMBIQUE EXPLANATORY MEMORANDUM ON THE DOUBLE TAXATION CONVENTION BETWEEN THE REPUBLIC OF SOUTH AFRICA AND THE REPUBLIC OF MOZAMBIQUE It is the practice in most countries for income tax to be imposed both on the

More information

Hybrid entity double taxation: A case study on the taxation of trans-tasman limited partnerships

Hybrid entity double taxation: A case study on the taxation of trans-tasman limited partnerships Revenue Law Journal Volume 21 Issue 1 Article 2 2-28-2012 Hybrid entity double taxation: A case study on the taxation of trans-tasman limited partnerships Craig Elliffe Jun Yin Follow this and additional

More information

International Tax Sweden Highlights 2018

International Tax Sweden Highlights 2018 International Tax Sweden Highlights 2018 Investment basics: Currency Swedish Krona (SEK) Foreign exchange control No Accounting principles/financial statements Principles applied are in accordance with

More information

IFA - Comparative Study of the US Conventions with Benelux countries

IFA - Comparative Study of the US Conventions with Benelux countries IFA - Comparative Study of the US Conventions with Benelux countries Speakers: Anja Taferner (EY - LU), Claudine Devillet (Ministry of Finance - BE), Lodewijk P.W. Berger (Jones Day - NL) Moderator: Thierry

More information

European REITS and Cross Border Investment 012 The Tax Treatment of REITs

European REITS and Cross Border Investment 012 The Tax Treatment of REITs European REITS and Cross Border Investment 012 The Tax Treatment of REITs ACTL Conference, 14 November 2014 Ronald Wijs What is the most essential aspect of a REIT? The Point of Taxation is moved from

More information

PROPOSED GENERAL ANTI-AVOIDANCE RULE COMMENTARY FOR A NEW ARTICLE

PROPOSED GENERAL ANTI-AVOIDANCE RULE COMMENTARY FOR A NEW ARTICLE Distr.: General 30 November 2016 Original: English Committee of Experts on International Cooperation in Tax Matters Thirteenth Session New York, 5-8 December 2016 Item 3 (a) (iii) of the provisional agenda*

More information

US Corporate Taxation

US Corporate Taxation Overview and Learning Objectives This course provides participants with an essential overview and comprehensive understanding of the complex US tax system, with particular emphasis on international aspects.

More information

ROMANIA. minimum of 25% of the number/value of shares or voting rights in the two entities.

ROMANIA. minimum of 25% of the number/value of shares or voting rights in the two entities. ROMANIA TRANSFER PRICING COUNTRY PROFILE 1. Reference to the Arm s Length Principle The arm's length principle was introduced in the domestic tax law in 1994 and is applicable to all related party transactions,

More information

Permanent establishments. Recent trends and developments

Permanent establishments. Recent trends and developments Permanent establishments Recent trends and developments Panel Moderator Panel Tom Philibert Albena Todorova Catherine Mbogo Partner EY Senegal Partner EY Mozambique East Region Tax Leader EY Kenya Ide

More information

8214/2/15 REV 2 RML/JGC/ra DGG 2B

8214/2/15 REV 2 RML/JGC/ra DGG 2B Council of the European Union Brussels, 18 June 2015 (OR. en) Interinstitutional File: 2015/0065 (CNS) 8214/2/15 REV 2 FISC 34 ECOFIN 259 LEGISLATIVE ACTS AND OTHER INSTRUMTS Subject: COUNCIL DIRECTIVE

More information

[2.2.1] Corporation Tax - General Background

[2.2.1] Corporation Tax - General Background [2.2.1] Corporation Tax - General Background [Note: the contents of this Instruction is based on legislation in force up to and including Finance (No 2) Act 2013. Throughout this manual reference is made

More information

Taxation of Highly Qualified/High Net Worth Individuals

Taxation of Highly Qualified/High Net Worth Individuals Malta as a Financial Centre Taxation of Highly Qualified/High Net Worth Individuals Doreen Fenech Director, Tax KPMG Agenda The General Non-Dom Rule Special Provisions/Schemes Article 6 of the Income Tax

More information