TAX CORRS. Editors: SEPTEMBER 2013

Size: px
Start display at page:

Download "TAX CORRS. Editors: SEPTEMBER 2013"

Transcription

1 CORRS TAX Editors: Welcome to the September 2013 edition of the Corrs Tax newsletter. We bring you brief summaries of topical taxation issues, as well as their implications for your business. IN THIS ISSUE: Base Erosion and Profit Shifting Australia s role in a global project We review recent announcements regarding the OECD project on BEPS. Employee share scheme concessions for start-up companies on the government s agenda We consider the government s plan to reform the taxation of share schemes for new companies. Jonathon Leek Partner, Perth Tel jonathon.leek@corrs.com.au Simon Mifsud Senior Associate, Sydney Tel simon.mifsud@corrs.com.au Kathryn Bertram Senior Associate, Melbourne Tel kathryn.bertram@corrs.com.au Exploration expenditure under the microscope We discuss proposed amendments and case law regarding tax deductions for mining exploration expenditure. JONATHON LEEK SIMON MIFSUD How can we improve? We are always striving to improve our newsletters to make them more relevant. We welcome your feedback on suggested themes/topics and any questions or general comments. Every person whose suggestion is implemented will receive a small gift from us. Contact the editors for feedback. KATHRYN BERTRAM

2 Base Erosion and Profit Shifting Australia s role in a global project Base Erosion and Profit Shifting (BEPS) has become a shorthand term of many developed economies to describe a symptom of declining corporate tax revenues around the world. Causes continue to be the subject of speculation, including theories at the more extreme end regarding aggressive tax planning by multinational corporate groups seeking to take advantage of gaps in international tax rules by a variety of means, including transfer pricing, tax havens, hybrid entities and thin capitalisation. Following an OECD report in February 2013 which highlighted the problem, the OECD recently issued an Action Plan on BEPS which sets the stage for further international development. The Australian Government itself released a scoping paper in July 2013 which set out the Government s intention to take action. In addition, the Australian Treasurer and the UK Chancellor of the Exchequer issued a joint media release in August expressing an agreement to combat tax avoidance and evasion. It is a safe prediction that BEPS will be a priority topic when Australia hosts the G20 next year. Motivations for a global project on BEPS Reviews into the so-called practice of international tax planning by multinationals are not a new phenomenon. OECD member countries have grappled with the appropriate allocation and exercise of taxing powers between nations, including how to address the use of tax havens and how to enforce transfer pricing for a long time. Many countries, including Australia, already have detailed domestic laws and processes to address the concerns (actual and perceived) arising from international tax planning activities. Australia recently made a range of amendments to its own transfer pricing laws. But the Australian Government and the OECD have embarked upon a renewed push to resolve what they believe to be a growing problem. This may be influenced by further declines in revenues at a time when governments can least afford them, or a general acceptance that despite the existence of domestic anti-avoidance rules in countries like Australia, the problem can no longer be addressed by one country acting alone. In the background, certain economists have for some time predicted a gradual reduction in the global corporate tax base. This was a feature of the 2009 report Australia s future tax system (the Henry Review). The Australian BEPS scoping paper covers a lot of ground and sets out a range of statistics to reenforce the existence of the problem and a variety of explanations for it. It is suggested that BEPS is increasing as a result of globalisation, both in terms of increased mobility of investment, flexibility in location of intellectual property and intangibles and also internet-based business. These factors are perceived to create a fertile environment for multinationals to exploit inconsistencies in international tax rules and tax rates by, for example, realising value from sales in low-tax country A even though the sales are generated from customers in higher-tax country B. In terms of recommendations, the paper proposes greater publication of taxation statistics involving international dealings, ten-year reviews of all bilateral tax treaties, expanded tax information exchange arrangements and an endorsement of the OECD s Action Plan. The scoping paper identifies a problem and sets a path for Australia (with other countries) to proceed with intent in search of the solution. Features of the Action Plan The OECD Action Plan contains a set of fifteen actions. The OECD BEPS project is still in its early stages, and this is evident from some of the broad objectives which appear to be directed more at solidarity and identifying the cause of the perceived problem than recommending particular solutions at this time. FOR MORE INFORMATION CONTACT: Craig Milner Partner, Sydney Tel craig.milner@corrs.com.au Simon Mifsud Senior Associate, Sydney Tel simon.mifsud@corrs.com.au

3 The path ahead There is some evidence that OECD Governments believe that the first task in achieving this significant project is to encourage negative perceptions about relevant corporate behaviours, by demonising (rightly or wrongly) multinational groups who engage in activities that Governments and others believe should be perceived as highly questionable notwithstanding that they may conform with current law. In late 2012, Assistant Treasurer David Bradbury shone the spotlight on Google, citing a low effective tax rate in Australia on certain transactions. In the UK, widely publicised campaigns against a number of taxpayers and appearances before the UK Public Accounts Committee by various multinational corporations with significant value in intangibles led to statements by Starbucks suggesting that it would pay millions of pounds in taxes voluntarily in response to public pressure. But there is a limit to how much assistance may be obtained by encouraging public support at home. Legislating to prevent an entity (which may not be locally resident) from arranging its commercial affairs in a foreign jurisdiction may require fundamental changes to accepted treaty rules about source of income and residence. This not only requires public support, but buy-in from a wide range of jurisdictions including, quite possibly, international low-tax and notax jurisdictions that are alleged to enable the corporate behaviours underlying BEPS. A summary of the actions is as follows. NO. ACTION 1 Address the tax challenges of the digital economy 2 Neutralise the effects of hybrid mismatch arrangements 3 Strengthen controlled foreign company rules 4 Limit base erosion via interest deductions and other financial payments 5 Counter harmful practices more effectively, taking into account transparency and substance 6 Prevent treaty abuse 7 Prevent artificial avoidance of permanent establishment status 8 Address transfer pricing arrangements for intangibles 9 Address transfer pricing arrangements related to risks and capital 10 Identify and address other high risk transfer pricing arrangements 11 Establish methods to collect and analyse data on BEPS 12 Increased disclosure of aggressive tax planning arrangements 13 Re-examine transfer pricing documentation 14 Make dispute resolution mechanisms more effective 15 Develop a multilateral instrument Each of these actions will be accompanied by further research and reporting of recommendations between September 2014 and December One thing for certain is that Australia has marked itself as intent on playing a leading role in the campaign to fight BEPS, and its role in hosting the G20 is likely to provide the perfect platform.

4 Employee share scheme concessions for start-up companies on the government s agenda The Government has released a discussion paper on proposed changes to employee share scheme arrangements for start-up companies This proposal follows from a range of reports recommending further work in relation to share or option remuneration for employees of new companies, including the governmental report entitled Advancing Australia as a Digital Economy: An Update to the National Digital Economy Strategy. The discussion paper raises several options for reform, including: further deferral concessions; lower taxation rates; greater discounts on taxation; and valuation concessions. The current tax system and difficulties for start-ups Currently, taxation on employee share schemes is borne by employees, with some limited reporting requirements on employers. Unless a deferral concession applies, employees will be taxed upfront when they receive shares or rights under a scheme on the value of the shares or rights at that time. There is currently a $1000 discount on assessable income for certain widely available upfront-taxed schemes. The deferral concession only applies for particular low-value salary sacrifice plans and also for plans under which the employee must satisfy performance or employment conditions which mean that the employee is at risk of losing their shares or options. In that case, the employee will be taxed at a deferred taxing point (usually when the performance or employment condition is satisfied and there are no restrictions on sale of the shares or options). It is common for start-up companies to provide a component of an employee s remuneration in shares or options for retention and incentive purposes. One difficulty in relation to the above tax regime for unlisted start-up companies is that there may be no market for the sale of the shares until an IPO or other liquidity event occurs in relation to the shares or options. This presents a problem not only in terms of the employee s ability to trade their taxable assets, but also the valuation of shares and options for tax purposes in the absence of a market for those assets. Defining a start-up The discussion paper identifies that this proposal is a targeted regime for new and entrepreneurial businesses, and one challenge will be in defining the eligible recipients of the concession. The paper analyses relevant characteristics of a start-up, including in relation to similar concessions in the UK and Singapore, and proposes the following definition: 15 or fewer employees; aggregate turnover of less than $5 million and not a subsidiary of another corporation; less than 5 (or possibly 7) years old; a test directed at entrepreneurial activity (ie must be providing new products, processes or services based on development and commercialisation of IP); and an in Australia test (ie majority of employees and assets must be in Australia). Proposals for reform The paper proposes the following alternatives which are aimed at granting concessions to employees of start-ups either in relation to the timing of taxation or the amount of tax payable: a deferral of taxation until the year of sale of shares or exercise of options; a deferral of the time at which tax is payable rather than the time at which FOR MORE INFORMATION CONTACT: Craig Milner Partner, Sydney Tel craig.milner@corrs.com.au Simon Mifsud Senior Associate, Sydney Tel simon.mifsud@corrs.com.au

5 the tax liability is valued (which may continue to be on an upfront basis); a lower tax rate (such as 15%); and an increased upfront discount to assessable income (such as $5,000). The options would continue to tax gains on employee schemes and options as income subject to marginal rates of taxation. The paper also reiterates previous discussion regarding the difficulties in valuation for start-ups in an illiquid market for the underlying shares. The paper proposes some alternative methodologies that may help to reduce or eliminate valuation costs in such circumstances, such as the endorsement of a net asset backing valuation (ie using the company s balance sheet to value the underlying shares). As a general observation, one might be tempted to favour the government s first alternative above, being an extended deferral of taxation to the time of exercise or sale of options or shares, being a time at which the shares can more easily be valued. Not only does this extended deferral provide a significant concession for cash-constrained start-up companies but also goes some way to solving the problem of valuation in many cases. The government has highlighted that one of its main concerns with this alternative is that it may be open for abuse if companies offer a sizeable proportion of remuneration in the form of shares or options or attempt to inappropriately characterise themselves as a start-up to obtain the concession. However, the government appears to acknowledge that this latter concern may be addressed in advance by tightly defining a start-up company. As an administrative measure, the paper also raises the possibility of introducing or expanding the use of governmentendorsed standardised ESS documentation to reduce compliance and legal costs for start-ups.

6 Exploration expenditure under the microscope On 14 May 2013, then Treasurer Wayne Swan foreshadowed reform to the immediate deduction entitlement for exploration expenditure. This announcement came shortly after the Administrative Appeals Tribunal (AAT) considered what constitutes exploration for petroleum resource rent tax purposes in the ZZGN case. Both developments are of interest to those involved in the energy and resources sector. Section of the Income Tax Assessment Act 1997 (Cth) (ITAA 1997) provides that a taxpayer is entitled to an immediate deduction for the costs of depreciating assets first used in exploration. Treasury s proposed amendments Treasury is of the view that s of ITAA 1997, as currently drafted, allows exploration and development expenditure to be conflated, and claimed as an immediate deduction. As evidence of taxpayer abuse in this area, Treasury points to: the growing number of claims under s 40-80; and a practice whereby mining rights and information are sold at a high price, reflecting the value of the minerals already discovered, to a purchaser who then undertakes nominal confirmatory exploration and claims an immediate deduction for the cost of the entire transaction on the basis of it being exploration expenditure. As part of a broader package of reforms designed to prevent corporate tax base erosion, Treasury released a proposal paper entitled Targeting the immediate deduction for mining rights and information first used for exploration. Submissions on the paper closed on 12 July Treasury is proposing that the immediate deduction for expenditure on mining rights and information be confined to circumstances where: 1. the right is acquired from a government issuing authority; 2. the right is acquired as a farmee in a farm-in, farm-out arrangement; 3. the information is acquired from a government authority; or 4. the information is created through exploration or prospecting. Expenditure on mining rights and information will otherwise be deductible over 15 years or the effective life of the rights or information, whichever is shorter. If the proposed changes are legislated, then one issue for taxpayers will be how they apportion values between tangible and intangible assets acquired in the one transaction. Simplifying the tax treatment of expenditure on intangible assets was the rationale originally for including mining rights and information in s In addition to the reforms above, the Treasury paper indicates that the ATO is reconsidering its interpretation of exploration as used in tax law. It would seem that the ATO s reconsideration of the exploration concept has been prompted by the AAT decision in ZZGN v Commissioner of Taxation [2013] AATA 351 (ZZGN). ZZGN ZZGN concerned s 37 of the Petroleum Resource Rent Tax Assessment Act 1987 (Cth) (PRRTAA), which allows taxpayers a deduction for payments made in or in connection with exploration for petroleum. Exploration is not defined in the PRRTAA. In considering the term, the AAT held that there was nothing in the various other concessions in tax law, case law or in the PRRTAA s extrinsic materials that justified a departure from the ordinary meaning of the term exploration, albeit a meaning understood in the context of petroleum legislation. In fleshing out the ordinary meaning of exploration, the AAT cited with approval the 1996 Report of the Australian Bureau of Agricultural and Resource Economics FOR MORE INFORMATION CONTACT: Stewart Grieve Partner, Melbourne Tel stewart.grieve@corrs.com.au

7 (ABARE Report); accepting that all survey and drilling activities referred to in the ABARE Report, and the associated scientific and technical analysis, would fall within the concept. The AAT will treat surveying a prospective field and drilling to appraise the size of a field as exploration under the PRRTAA. Feasibility studies and preparatory work, on the other hand, are of a distinctly different nature as they occur only after a discovery has been made. ZZGN suggests that there is a temporal aspect to exploration. Despite the AAT dismissing the exploration phase and production phase dichotomy in the ABARE Report, it seems, according to the AAT, that generally exploration occurs only up until the point of discovery. The problem however, is in stating precisely when a discovery is made. Between first identification of the resource and the commissioning of feasibility studies lies a range of activity that, on the AAT definition, may or may not constitute exploration. When, for instance, does appraising the size and quality of a field constitute exploration and when does it constitute a feasibility study for future development? In that regard, clearly exploration and feasibility studies are not unrelated concepts. The difficulty here is further complicated by the AAT s suggestion that expenditure on feasibility studies, though not exploration ordinarily, could be deductible under s 37 where a reasonably direct connection exists between the studies and exploration. Conclusions At a time when Australia is experiencing a significant reduction in the levels of exploration activity by its miners, Treasury s proposed reform to s of the ITAA 1997 and the AAT s failure to adopt a bright line test for determining what constitutes exploration activity have: 1. reduced the available taxation incentives for miners in conducting exploration activity; and 2. increased the uncertainty, and consequently the compliance costs, associated with the already difficult task of characterising expenditure in the energy and resources sector. These developments can only add to the disincentives for miners in undertaking new mining exploration activity in Australia.

Exploration defined in a PRRT context What are the potential ramifications for you? TaxTalk Alert. September

Exploration defined in a PRRT context What are the potential ramifications for you? TaxTalk Alert. September Exploration defined in a PRRT context What are the potential ramifications for you? TaxTalk Alert September 2013 www.pwc.com.au Introduction Participants in the Australian Oil & Gas industry continue to

More information

TAX CORRS APRIL Insights and trends in Australian taxation THE THIN CAPITALISATION LANDSCAPE PROPOSALS AND REVIEWS

TAX CORRS APRIL Insights and trends in Australian taxation THE THIN CAPITALISATION LANDSCAPE PROPOSALS AND REVIEWS CORRS TAX APRIL 2014 Insights and trends in Australian taxation Welcome to the April 2014 edition of the Corrs Tax newsletter. We bring you brief summaries of topical taxation issues, as well as their

More information

The OECD s 3 Major Tax Initiatives

The OECD s 3 Major Tax Initiatives The OECD s 3 Major Tax Initiatives 1. The Global Forum on Transparency and Exchange of Information for Tax Purposes Peer review of ~ 100 countries International standard for transparency and exchange of

More information

Roundup of Australia s BEPS developments

Roundup of Australia s BEPS developments TaxTalk Insights Global Tax Roundup of Australia s BEPS developments 12 April 2017 In brief Since its presidency of the G20 in 2014, Australia has been at the forefront of efforts to combat tax avoidance

More information

Contents. Overview of integrity measures Multinational (MNE) anti-avoidance provision... 2

Contents. Overview of integrity measures Multinational (MNE) anti-avoidance provision... 2 Contents Overview of integrity measures... 1 Multinational (MNE) anti-avoidance provision... 2 GST on digital products and services by offshore suppliers... 3 Status of main changes from G20-OECD Action

More information

BASE EROSION PROFIT SHARING INITIATIVE THE IMPLICATIONS FOR THE BAHAMAS

BASE EROSION PROFIT SHARING INITIATIVE THE IMPLICATIONS FOR THE BAHAMAS BASE EROSION PROFIT SHARING INITIATIVE THE IMPLICATIONS FOR THE BAHAMAS By Ryan Pinder Partner, Graham Thompson International Business & Finance Summit (IBFS) March 2, 2018 Baha Mar Convention Centre Nassau,

More information

Annual International Bar Association Conference 2014 Tokyo, Japan. Recent Developments in International Taxation in Australia

Annual International Bar Association Conference 2014 Tokyo, Japan. Recent Developments in International Taxation in Australia Bourke Place 600 Bourke Street Melbourne VIC 3000 GPO Box 9925 VIC 3001 Tel (03) 9672 3000 Fax (03) 9672 3010 www.corrs.com.au Sydney Melbourne Brisbane Perth Annual International Bar Association Conference

More information

THE FUTURE OF TAX PLANNING: TRANSPARENCY AND SUBSTANCE FOR ALL? Friday, 26 February AM PM Conrad Hotel, Hong Kong

THE FUTURE OF TAX PLANNING: TRANSPARENCY AND SUBSTANCE FOR ALL? Friday, 26 February AM PM Conrad Hotel, Hong Kong THE FUTURE OF TAX PLANNING: TRANSPARENCY AND SUBSTANCE FOR ALL? Friday, 26 February 2016 9.00AM - 12.00PM Conrad Hotel, Hong Kong THE DRIVE TOWARDS TRANSPARENCY: CHALLENGES AND OPPORTUNITIES IN INTERNATIONAL

More information

Coversheet: BEPS transfer pricing and permanent establishment avoidance rules

Coversheet: BEPS transfer pricing and permanent establishment avoidance rules BEPS documents release - August 2017: #18 Coversheet: BEPS transfer pricing and permanent establishment avoidance rules Advising agencies Decision sought Proposing Ministers The Treasury and Inland Revenue

More information

G8/G20 TAXATION ISSUES : Tax Training Day, ODI, London 16 September 2013

G8/G20 TAXATION ISSUES : Tax Training Day, ODI, London 16 September 2013 G8/G20 TAXATION ISSUES : Tax Training Day, ODI, London 16 September 2013 BASE EROSION AND PROFIT SHIFTING 2 OECD Work on Taxation Focus has historically been on the development of common standards to eliminate

More information

JOINT SUBMISSION BY. Date: 30 May 2014

JOINT SUBMISSION BY. Date: 30 May 2014 JOINT SUBMISSION BY Institute of Chartered Accountants Australia, Law Council of Australia, CPA Australia, The Tax Institute and the Corporate Tax Association Draft Taxation Ruling TR 2014/D3 Income tax:

More information

OECD releases final BEPS package

OECD releases final BEPS package 6 October 2015 Tax Flash OECD releases final BEPS package On 5 October 2015, the OECD published the final reports of the OECD/G20 Base Erosion and Profit Shifting ( BEPS ) project, which consist of a package

More information

Australian perspective on 2015 BEPS package

Australian perspective on 2015 BEPS package TaxTalk Insights BEPS Australian perspective on 2015 BEPS package 8 October 2015 In brief The Organisation for Economic Co-operation and Development (OECD) has released the 2015 Base Erosion and Profit

More information

AUSTRALIAN BUDGET

AUSTRALIAN BUDGET MAY 2013 AUSTRALIAN TAX UPDATE AUSTRALIAN BUDGET 2013-2014 2013-2014 Australian Federal Budget - Government attacks thin capitalisation, offshore debt structures, tightens key tax concessions for multinationals

More information

Hot topics Treasury seminar

Hot topics Treasury seminar Hot topics Treasury seminar Treasury in a transparent and new tax world Discover and unlock your potential Program Introduction on BEPS Potential implications for treasury o Interest deduction o Treaty

More information

BUSINESS MODELS IN THE CURRENT BEPS ENVIRONMENT DO YOU NEED TO CHANGE? Lyndon James, Partner Pete Rhodes, Senior Manager PwC

BUSINESS MODELS IN THE CURRENT BEPS ENVIRONMENT DO YOU NEED TO CHANGE? Lyndon James, Partner Pete Rhodes, Senior Manager PwC BUSINESS MODELS IN THE CURRENT BEPS ENVIRONMENT DO YOU NEED TO CHANGE? Lyndon James, Partner Pete Rhodes, Senior Manager PwC Agenda The current environment and the case for change Australian measures most

More information

TAX CORRS DECEMBER Insights and trends in Australian taxation. SPI POWERNET PTY LTD v COMMISSIONER OF TAXATION

TAX CORRS DECEMBER Insights and trends in Australian taxation. SPI POWERNET PTY LTD v COMMISSIONER OF TAXATION CORRS TAX DECEMBER 2013 Insights and trends in Australian taxation Welcome to the December 2013 edition of the Corrs Tax newsletter. We bring you brief summaries of topical taxation issues, as well as

More information

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

OECD issues Action Plan on Base Erosion and Profit Shifting (BEPS) 22 July 2013 OECD issues Action Plan on Base Erosion and Profit Shifting (BEPS) Executive summary On 19 July 2013, the Organisation for Economic Cooperation and Development (OECD) issued its much-anticipated

More information

TAX EVASION AND AVOIDANCE: Questions and Answers

TAX EVASION AND AVOIDANCE: Questions and Answers EUROPEAN COMMISSION MEMO Brussels, 6 December 2012 TAX EVASION AND AVOIDANCE: Questions and Answers See also IP/12/1325 Tax Evasion Why has the Commission presented an Action Plan on Tax fraud and evasion?

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

Impact of BEPS and Other International Tax Risks on the Jersey Funds Industry

Impact of BEPS and Other International Tax Risks on the Jersey Funds Industry www.pwc.com/jg November 2015 Impact of BEPS and Other International Tax Risks on the Jersey Funds Industry Current International Tax Environment 1 2 The current environment The ability to achieve tax certainty

More information

CPA Esther Wahome. Thursday, 16 August 2018

CPA Esther Wahome. Thursday, 16 August 2018 Current trends in international tax planning (focus on BEPS). Presentation by: CPA Esther Wahome Senior Manager Taxation Services Deloitte & Touche Thursday, 16 August 2018 Uphold public interest Contents

More information

The UAE has joined the Inclusive Framework on BEPS

The UAE has joined the Inclusive Framework on BEPS The UAE has joined the Inclusive Framework on BEPS May 2018 In brief The United Arab Emirates ( UAE ) joined the OECD Inclusive Framework on Base Erosion and Profit Shifting ( BEPS ) on 16 May 2018, bringing

More information

Korean Tax Update BEPS Implementation

Korean Tax Update BEPS Implementation Presentation for KGCCI Korean Tax Update BEPS Implementation May 2018 CONTENTS I. BEPS: Backgrounds What is BEPS? Backgrounds for OECD BEPS Project BEPS Action plans II. BEPS Implementation in Korea I.

More information

OECD meets with business on base erosion and profit shifting action plan

OECD meets with business on base erosion and profit shifting action plan 4 October 2013 OECD meets with business on base erosion and profit shifting action plan Executive summary On 1 October 2013, the Organisation for Economic Cooperation and Development (OECD) held a meeting

More information

EUROPEAN COMMISSION PRESENTS ANTI-TAX AVOIDANCE PACKAGE

EUROPEAN COMMISSION PRESENTS ANTI-TAX AVOIDANCE PACKAGE EUROPEAN COMMISSION PRESENTS ANTI-TAX AVOIDANCE PACKAGE tax.thomsonreuters.com On January 28, 2016, the European Commission presented its Communication on the Anti-Tax Avoidance Package (ATA Package).

More information

IBFD Course Programme Current Issues in International Tax Planning

IBFD Course Programme Current Issues in International Tax Planning IBFD Course Programme Current Issues in International Tax Planning Amsterdam, 14 16 June 2017 Summary This intermediate-level course provides participants with an in-depth understanding of the current

More information

BEPS: What does it mean for funds and asset managers?

BEPS: What does it mean for funds and asset managers? BEPS: What does it mean for funds and asset managers? Client Seminar Martin Shah René van Eldonk Malcolm Richardson, M&G 10 March 2015 Overview Background to and progress to date of BEPS Action Plan More

More information

Headline Verdana Bold International Tax matters ICPAU Tax Seminar, Hotel Africana November, 2017

Headline Verdana Bold International Tax matters ICPAU Tax Seminar, Hotel Africana November, 2017 Headline Verdana Bold International Tax matters ICPAU Tax Seminar, Hotel Africana November, 2017 Contents Related party transactions 3 URA practice on international tax 14 OCED Action Plan on BEPS 30 2017

More information

AUSTRALIAN BUDGET

AUSTRALIAN BUDGET MAY 2015 AUSTRALIAN TAX UPDATE AUSTRALIAN BUDGET 2015-2016 INTRODUCTION The Australian Government has released a measured but significant 2015-2016 Federal Budget. The three main tax changes include a

More information

Do we have the wrong tax system for the digital economy? Alf Capito, Tax Policy Leader, EY Asia Pacific July 2014

Do we have the wrong tax system for the digital economy? Alf Capito, Tax Policy Leader, EY Asia Pacific July 2014 Do we have the wrong tax system for the digital economy? Alf Capito, Tax Policy Leader, EY Asia Pacific July 2014 Key features of the digital economy as seen by the OECD taskforce Mobility Reliance on

More information

IBFD Course Programme Current Issues in International Tax Planning

IBFD Course Programme Current Issues in International Tax Planning IBFD Course Programme Current Issues in International Tax Planning Summary This intermediate-level course provides participants with an in-depth understanding of the current discussions relating to international

More information

Practical Implications of BEPS

Practical Implications of BEPS www.pwc.com/il Practical Implications of BEPS Vered Kirshner, Tax Partner, PwC Israel Ben Blumenfeld, Tax and Transfer Pricing Senior Manager, PwC Israel Aim of BEPS Action plan backed by the OECD and

More information

Answer-to-Question- 1

Answer-to-Question- 1 Answer-to-Question- 1 The arm's length principle is the standard used by all OECD parties in setting and testing prices between related parties. It aims to assess the level of profits which would have

More information

THE INTERSECTION OF TAX & TREASURY

THE INTERSECTION OF TAX & TREASURY THE INTERSECTION OF TAX & TREASURY 1 INTRODUCTIONS Denise Magyer Senior Vice President, Allied Irish Bank BEATRIZ SALDIVAR MBA & CTP Consultant & Member of the Federal Reserve Faster Payments Task Force

More information

Engaging title in Green Descriptive element in Blue 2 lines if needed

Engaging title in Green Descriptive element in Blue 2 lines if needed BEPS Impact on TMT Sector January 2016 Engaging title in Green Descriptive element in Blue 2 lines if needed Second line optional lorem ipsum B Subhead lorem ipsum, date quatueriure Let s be crystal clear:

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 A briefing note prepared for the Finance and Expenditure Committee Policy and Strategy, Inland

More information

THE AUSTRALIAN GOVERNMENT INCREASES PRESSURE ON MULTINATIONAL TAX AVOIDANCE: 40% DIVERTED PROFITS TAX (DPT) INTRODUCED

THE AUSTRALIAN GOVERNMENT INCREASES PRESSURE ON MULTINATIONAL TAX AVOIDANCE: 40% DIVERTED PROFITS TAX (DPT) INTRODUCED THE AUSTRALIAN GOVERNMENT INCREASES PRESSURE ON MULTINATIONAL TAX AVOIDANCE: 40% DIVERTED PROFITS TAX (DPT) INTRODUCED 2 DECEMBER 2016 INTRODUCTION AND OVERVIEW The Australian Government released draft

More information

BELGIUM GLOBAL GUIDE TO M&A TAX: 2018 EDITION

BELGIUM GLOBAL GUIDE TO M&A TAX: 2018 EDITION BELGIUM 1 BELGIUM INTERNATIONAL DEVELOPMENTS 1. WHAT ARE RECENT TAX DEVELOPMENTS IN YOUR COUNTRY WHICH ARE RELEVANT FOR M&A DEALS AND PRIVATE EQUITY? A major corporate income tax reform has been published

More information

PwC Tax Panel 18 October 2016

PwC Tax Panel 18 October 2016 18 th Annual Tax and Legal Conference Maximise Shareholder Value 2017 www.pwc.com/th Tax Panel Agenda Section one - Challenges in the digital economy Section two - Legal perspective for online transactions

More information

Base erosion & profit shifting (BEPS) 25 May 2016

Base erosion & profit shifting (BEPS) 25 May 2016 Base erosion & profit shifting (BEPS) 25 May 2016 Introduction Important to distinguish between: Tax avoidance Using legal provisions to minimise tax liability Covers interventions that are referred to

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

BEPS Multilateral Instrument (MLI), India s Corresponding Positions, Implementation (GAAR)

BEPS Multilateral Instrument (MLI), India s Corresponding Positions, Implementation (GAAR) BEPS Multilateral Instrument (MLI), India s Corresponding Positions, Implementation (GAAR) Dr. Parthasarathi Shome Chairman International Tax Research and Analysis Foundation (ITRAF) www.itraf.org Visiting

More information

IBFD Course Programme BEPS Country Implementation

IBFD Course Programme BEPS Country Implementation IBFD Course Programme BEPS Country Implementation Summary On 5 October 2015, the OECD published the final reports of its 15-point base erosion and profit shifting (BEPS) project. A bit more than a year

More information

New Australia- Germany Tax Treaty enters into force

New Australia- Germany Tax Treaty enters into force 12 December 2016 Global Tax Alert New Australia- Germany Tax Treaty enters into force EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser:

More information

Legislative Design of the Fiscal Regime for Seabed Mining. Lee Burns

Legislative Design of the Fiscal Regime for Seabed Mining. Lee Burns Legislative Design of the Fiscal Regime for Seabed Mining Lee Burns Taxation of Extractive Industries Challenges for Government The reality is that most Governments do not have the financial resources

More information

TAX LAWS AMENDMENT (CROSS BORDER TRANSFER PRICING) BILL 2013: MODERNISATION OF TRANSFER PRICING RULES EXPOSURE DRAFT - EXPLANATORY MEMORANDUM

TAX LAWS AMENDMENT (CROSS BORDER TRANSFER PRICING) BILL 2013: MODERNISATION OF TRANSFER PRICING RULES EXPOSURE DRAFT - EXPLANATORY MEMORANDUM 2012 TAX LAWS AMENDMENT (CROSS BORDER TRANSFER PRICING) BILL 2013: MODERNISATION OF TRANSFER PRICING RULES EXPOSURE DRAFT - EXPLANATORY MEMORANDUM (Circulated by the authority of the Deputy Prime Minister

More information

International Tax Cooperation

International Tax Cooperation UK Sets Out Its Priorities for the OECD Base Erosion and Profit Shifting (BEPS) Project SUMMARY The UK government has published a paper setting out in detail its position on the OECD s Action Plan on Base

More information

New Financial Year, New Tax Developments for Inbound Financing

New Financial Year, New Tax Developments for Inbound Financing TaxTalk Insights Financial Services New Financial Year, New Tax Developments for Inbound Financing What should Inbound Real Estate Entities look out for? 24 August 2017 In brief Recent changes to the tax

More information

Hybrid mismatches with third countries

Hybrid mismatches with third countries Briefing EU Legislation in Progress CONTENTS Background Parliament s starting position Council starting position Proposal Preparation of the proposal The changes the proposal would bring Views Advisory

More information

Australia s adoption of the BEPS Convention (Multilateral Instrument) Consultation Paper December 2016

Australia s adoption of the BEPS Convention (Multilateral Instrument) Consultation Paper December 2016 Australia s adoption of the BEPS Convention (Multilateral Instrument) Consultation Paper December 2016 Commonwealth of Australia 2016 ISBN 978-1-925504-24-8 This publication is available for your use under

More information

EXPOSURE DRAFT TAX LAWS AMENDMENT (COMBATING MULTINATIONAL TAX AVOIDANCE) BILL 2016: DIVERTED PROFITS TAX EXPLANATORY MEMORANDUM

EXPOSURE DRAFT TAX LAWS AMENDMENT (COMBATING MULTINATIONAL TAX AVOIDANCE) BILL 2016: DIVERTED PROFITS TAX EXPLANATORY MEMORANDUM EXPOSURE DRAFT TAX LAWS AMENDMENT (COMBATING MULTINATIONAL TAX AVOIDANCE) BILL 2016: DIVERTED PROFITS TAX EXPLANATORY MEMORANDUM Glossary The following abbreviations and acronyms are used throughout this

More information

Tax watch: Edition 2. March Transfer Pricing, Permanent Establishment and Interest Limitation Changes Announced

Tax watch: Edition 2. March Transfer Pricing, Permanent Establishment and Interest Limitation Changes Announced The views reflected in this document are the views of the authors and do not necessarily reflect the views of the global EY organisation or its member firms. Tax watch: Edition 2 March 2017 Transfer Pricing,

More information

Analysis of Intellectual Property Tax Planning Strategies of Multinationals and the Impact of the BEPS Project

Analysis of Intellectual Property Tax Planning Strategies of Multinationals and the Impact of the BEPS Project Analysis of Intellectual Property Tax Planning Strategies of Multinationals and the Impact of the BEPS Project Dr Ranjana Gupta Auckland University of Technology 1 Introduction The global economy and the

More information

2017 UPDATE TO THE OECD MODEL TAX CONVENTION. 2 November 7

2017 UPDATE TO THE OECD MODEL TAX CONVENTION. 2 November 7 2017 UPDATE TO THE OECD MODEL TAX CONVENTION 2 November 7 21 November 2017 THE 2017 UPDATE TO THE OECD MODEL TAX CONVENTION This note includes the contents of the 2017 update to the OECD Model Tax Convention

More information

Proposed hybrid mismatch rules: impact on Australian securitisation industry

Proposed hybrid mismatch rules: impact on Australian securitisation industry Chris Dalton Chief Executive Officer 3 Spring Street, Sydney NSW 2000 T +61 (0)2 8243 3906 M +61 (0)403 584 600 E cdalton@securitisation.com.au www.securitisation.com.au 29 March 2018 William Potts Senior

More information

RUSSIAN FEDERATION GLOBAL GUIDE TO M&A TAX: 2017 EDITION

RUSSIAN FEDERATION GLOBAL GUIDE TO M&A TAX: 2017 EDITION RUSSIAN FEDERATION 1 RUSSIAN FEDERATION INTERNATIONAL DEVELOPMENTS 1. WHAT ARE RECENT TAX DEVELOPMENTS IN YOUR COUNTRY WHICH ARE RELEVANT FOR M&A DEALS AND PRIVATE EQUITY? Rules have been introduced for

More information

Tax Havens: Tax Fairness Action Plan THE QUÉBEC ECONOMIC PLAN

Tax Havens: Tax Fairness Action Plan THE QUÉBEC ECONOMIC PLAN Tax Havens: Tax Fairness Action Plan THE QUÉBEC ECONOMIC PLAN Tax Havens: Tax Fairness Action Plan The québec Economic Plan Tax Havens: Tax Fairness Action Plan The Québec Economic Plan Legal deposit November

More information

United Nations Practical Portfolio. Protecting the Tax Base. of Developing Countries against Base Erosion: Income from Services.

United Nations Practical Portfolio. Protecting the Tax Base. of Developing Countries against Base Erosion: Income from Services. United Nations Practical Portfolio Protecting the Tax Base of Developing Countries against Base Erosion: Income from Services asdf United Nations New York, 2017 Copyright January 2017 United Nations All

More information

Privatisation and Infrastructure ATO Tax Framework

Privatisation and Infrastructure ATO Tax Framework TaxTalk Insights Privatisation and Infrastructure ATO Tax Framework 2 February 2017 In brief On 31 January 2017, the Commissioner of Taxation released the long awaited updated draft of the Privatisation

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

THE PARLIAMENT OF THE COMMONWEALTH OF AUSTRALIA SENATE TREASURY LAWS AMENDMENT (COMBATING MULTINATIONAL TAX AVOIDANCE) BILL 2017

THE PARLIAMENT OF THE COMMONWEALTH OF AUSTRALIA SENATE TREASURY LAWS AMENDMENT (COMBATING MULTINATIONAL TAX AVOIDANCE) BILL 2017 2016-2017 THE PARLIAMENT OF THE COMMONWEALTH OF AUSTRALIA SENATE TREASURY LAWS AMENDMENT (COMBATING MULTINATIONAL TAX AVOIDANCE) BILL 2017 DIVERTED PROFITS TAX BILL 2017 REVISED EXPLANATORY MEMORANDUM

More information

CA T. P. OSTWAL. T. P. Ostwal & Associates LLP

CA T. P. OSTWAL. T. P. Ostwal & Associates LLP CA T. P. OSTWAL BEPS strategies may not necessarily be illegal Increased globalisation enables companies to exploit gaps arising on interaction of domestic tax systems and treaty rules within the boundary

More information

*******************************************

******************************************* William Morris Chair, BIAC Tax Committee 13/15, Chaussée de la Muette, 75016 Paris France The Platform for Collaboration on Tax Submitted by email: GlobalTaxPlatform@worldbank.org October 20, 2017 Ref:

More information

32nd Annual Asia Pacific Tax Conference November 2016 JW Marriott Hotel Hong Kong

32nd Annual Asia Pacific Tax Conference November 2016 JW Marriott Hotel Hong Kong 32nd Annual Asia Pacific Tax Conference 10 11 November 2016 JW Marriott Hotel Hong Kong Alternative A: Source country taxation, evolving PE rules and unilateral measures Chair: Gary Sprague, Palo Alto

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

UNITED KINGDOM GLOBAL GUIDE TO M&A TAX: 2017 EDITION

UNITED KINGDOM GLOBAL GUIDE TO M&A TAX: 2017 EDITION UNITED KINGDOM 1 UNITED KINGDOM INTERNATIONAL DEVELOPMENTS 1. WHAT ARE RECENT TAX DEVELOPMENTS IN YOUR COUNTRY WHICH ARE RELEVANT FOR M&A DEALS AND PRIVATE EQUITY? The main developments in the UK relevant

More information

Tax Management International Forum

Tax Management International Forum Tax Management International Forum Comparative Tax Law for the International Practitioner Reproduced with permission from Tax Management International Forum, 38 FORUM 14, 6/5/17. Copyright 姝 2017 by The

More information

Global Transfer Pricing Review kpmg.com/gtps

Global Transfer Pricing Review kpmg.com/gtps Global Transfer Pricing Review Czech Australia Republic kpmg.com/gtps TAX 2 Global Transfer Pricing Review Australia KPMG observation The transfer pricing landscape in Australia continues to be one of

More information

Transfer Pricing Perspectives: The new normal: full TransParency. Final BEPS guidance places renewed emphasis on intercompany agreements

Transfer Pricing Perspectives: The new normal: full TransParency. Final BEPS guidance places renewed emphasis on intercompany agreements Final BEPS guidance places renewed emphasis on intercompany agreements 4 Specifically, the OECD has stated that written contracts alone should not drive the economic outcome. Summary On 5 October 2015,

More information

Australia releases draft anti-hybrids law

Australia releases draft anti-hybrids law 28 November 2017 Global Tax Alert Australia releases draft anti-hybrids law EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: www.ey.com/taxalerts

More information

BEPS ACTION 15. Development of a Multilateral Instrument to Implement the Tax Treaty related BEPS Measures

BEPS ACTION 15. Development of a Multilateral Instrument to Implement the Tax Treaty related BEPS Measures BEPS ACTION 15 Development of a Multilateral Instrument to Implement the Tax Treaty related BEPS Measures REQUEST FOR INPUT ON THE DEVELOPMENT OF A MULTILATERAL INSTRUMENT TO IMPLEMENT THE TAX TREATY-RELATED

More information

Insurance Tax Insight The Global Tax Reset: BEPS & Insurance

Insurance Tax Insight The Global Tax Reset: BEPS & Insurance Insurance Tax Insight The Global Tax Reset: BEPS & Insurance On 5 October 2015, the OECD published 13 papers outlining consensus actions under the base erosion and profit shifting (BEPS) project. The output

More information

Presentation by Shigeto HIKI

Presentation by Shigeto HIKI Presentation by Shigeto HIKI Co-chair of Forum on Harmful Tax Practices Director International Tax Policy Division, Tax Bureau Ministry of Finance, Japan The Fifth IMF-Japan High-Level Tax Conference For

More information

BEPS nears the finish line. The inevitable BEPS changes are close to the final stages of implementation.

BEPS nears the finish line. The inevitable BEPS changes are close to the final stages of implementation. 13 December 2017 Regular commentary from our experts on topical tax issues Issue 2 The inevitable BEPS changes are close to the final stages of implementation. BEPS nears the finish line Snapshot The Taxation

More information

TRANSNATIONAL TAX NETWORK 2015 HONG KONG CONFERENCE. Hong Kong 9 February David Russell QC Outer Temple Chambers London and Dubai

TRANSNATIONAL TAX NETWORK 2015 HONG KONG CONFERENCE. Hong Kong 9 February David Russell QC Outer Temple Chambers London and Dubai TRANSNATIONAL TAX NETWORK 2015 HONG KONG CONFERENCE Hong Kong 9 February 2015 David Russell QC Outer Temple Chambers London and Dubai B.E.P.S. for BEGINNERS OR MISERY LOVES COMPANY A TALE OF TWO CITIES

More information

International Tax Update. Friday, December 1, 2017 Grant Thornton's Year End taxguide Event Brandon Joseph Senior Manager, International Tax

International Tax Update. Friday, December 1, 2017 Grant Thornton's Year End taxguide Event Brandon Joseph Senior Manager, International Tax International Tax Update Friday, December 1, 2017 Grant Thornton's Year End taxguide Event Brandon Joseph Senior Manager, International Tax Presenters Brandon Joseph Senior Manager International Tax Services

More information

STAPLED STRUCTURES CONSULTATION PAPER MARCH 2017

STAPLED STRUCTURES CONSULTATION PAPER MARCH 2017 STAPLED STRUCTURES CONSULTATION PAPER MARCH 2017 Commonwealth of Australia 2017 ISBN 978-1-925504-38-5 This publication is available for your use under a Creative Commons Attribution 3.0 Australia licence,

More information

TAXATION, STAMP DUTY AND CUSTOMS DUTY

TAXATION, STAMP DUTY AND CUSTOMS DUTY TAXATION, STAMP DUTY AND CUSTOMS DUTY Chapter 11 Taxation, Stamp duty and Customs duty In Australia, taxes are imposed by the Australian Government, state and territory governments, and local government

More information

WORKING PAPER. Financial Counsellors - ECOFIN preparation Presidency Issues Note on 'Tax Certainty in a Changing Environment'

WORKING PAPER. Financial Counsellors - ECOFIN preparation Presidency Issues Note on 'Tax Certainty in a Changing Environment' Brussels, 29 March 2017 WK 3787/2017 INIT LIMITE ECOFIN WORKING PAPER This is a paper intended for a specific community of recipients. Handling and further distribution are under the sole responsibility

More information

IRELAND GLOBAL GUIDE TO M&A TAX: 2017 EDITION

IRELAND GLOBAL GUIDE TO M&A TAX: 2017 EDITION IRELAND 1 IRELAND INTERNATIONAL DEVELOPMENTS 1. WHAT ARE RECENT TAX DEVELOPMENTS IN YOUR COUNTRY WHICH ARE RELEVANT FOR M&A DEALS AND PRIVATE EQUITY? A reduced rate of capital gains tax ( CGT ) of 20%

More information

Income Tax Workshop Base eroding payments Tax certainty and BEPS... 29

Income Tax Workshop Base eroding payments Tax certainty and BEPS... 29 Contents BEPS IMPLEMENTATION... 3 Implementing BEPS1: Minimum Standards (BL)... 3 Implementing BEPS2: Hybrids, Interests, CFCs... 4 BEPS TRANSFER PRICING... 5 The revised Transfer Pricing Guidelines...

More information

EU countries facing BEPS: the case of France. Stéphane Austry Partner, CMS Bureau Francis Lefebvre France

EU countries facing BEPS: the case of France. Stéphane Austry Partner, CMS Bureau Francis Lefebvre France EU countries facing BEPS: the case of France Stéphane Austry Partner, CMS Bureau Francis Lefebvre France Introduction o OECD and G20 countries have indorsed an Action Plan to address Base Erosion and Profit

More information

Introduction to Transfer Pricing. Presented by Ziad Rahman APTP

Introduction to Transfer Pricing. Presented by Ziad Rahman APTP Introduction to Transfer Pricing Presented by Ziad Rahman APTP What is Transfer Pricing? Arm s Length Principle. Transfer Pricing Documentation. Transfer Pricing Methodologies. Benchmarking. Transfer Pricing

More information

Transfer Pricing Update

Transfer Pricing Update Transfer Pricing Update Ray Brown, Principal Economist, DLA Piper - Los Angeles Mike Patton, Partner, DLA Piper - Los Angeles Eric Ryan, Partner, DLA Piper - Silicon Valley *This presentation is offered

More information

VI. Permanent Establishments and Profit Attribution to Permanent Establishments

VI. Permanent Establishments and Profit Attribution to Permanent Establishments VI. Permanent Establishments and Profit Attribution to Permanent Establishments 2 Panelists Rob Heferen, Deputy Secretary, Revenue Group, The Treasury of Australia Henry Louie, Deputy to the International

More information

a) Title of proposal Proposal for a Council Directive amending Council Regulation (EU) 2016/1164 as regards hybrid mismatches with third countries

a) Title of proposal Proposal for a Council Directive amending Council Regulation (EU) 2016/1164 as regards hybrid mismatches with third countries Unofficial translation of the assessment by the Dutch government of the proposal of the European Commission regarding hybrid mismatches with third countries Leaflet 2: Directive on hybrid mismatches with

More information

Are We Heading towards

Are We Heading towards Profit Shifting Are We Heading towards a Corporate Tax System Fit for the 21 ST Century? 1 Michael P. Devereux and John Vella 2 Introduction A long-standing criticism of the system for taxing multinationals

More information

https://dm.eesc.europa.eu/eescdocumentsearch/pages/opinionsresults.aspx?k=eco%2f419

https://dm.eesc.europa.eu/eescdocumentsearch/pages/opinionsresults.aspx?k=eco%2f419 Council of the European Union Brussels, 5 October 2017 (OR. en) Interinstitutional Files: 2016/0336 (CNS) 2016/0337 (CNS) 12848/17 FISC 210 COVER NOTE From: To: Subject: General Secretariat of the Council

More information

IP BOX TAX REGIMES. Rod Donnelly Thursday, September 14, 2017

IP BOX TAX REGIMES. Rod Donnelly Thursday, September 14, 2017 IP BOX TAX REGIMES Rod Donnelly Thursday, September 14, 2017 AGENDA 2 IP Box basics Tax sticks and carrots International landscape harmful tax practices OECD BEPS 2015 action final report topics OECD BEPS

More information

Controlled Foreign Companies and Foreign Accumulation Funds: Release of Exposure Draft Legislation

Controlled Foreign Companies and Foreign Accumulation Funds: Release of Exposure Draft Legislation On 17 February 2011, the Assistant Treasurer released exposure draft legislation (ED) for the proposed new Controlled Foreign Company (CFC) and Foreign Accumulation Fund (FAF) rules. The ED also includes

More information

The Impact of the OECD BEPS Action Plan on Finnish Multinational Companies Case Study

The Impact of the OECD BEPS Action Plan on Finnish Multinational Companies Case Study Jyri Hirvinen The Impact of the OECD BEPS Action Plan on Finnish Multinational Companies Case Study Helsinki Metropolia University of Applied Sciences Bachelor of Business Administration European Management

More information

THE PARLIAMENT OF THE COMMONWEALTH OF AUSTRALIA HOUSE OF REPRESENTATIVES INTERNATIONAL TAX AGREEMENTS AMENDMENT BILL 2016 EXPLANATORY MEMORANDUM

THE PARLIAMENT OF THE COMMONWEALTH OF AUSTRALIA HOUSE OF REPRESENTATIVES INTERNATIONAL TAX AGREEMENTS AMENDMENT BILL 2016 EXPLANATORY MEMORANDUM 2016 THE PARLIAMENT OF THE COMMONWEALTH OF AUSTRALIA HOUSE OF REPRESENTATIVES INTERNATIONAL TAX AGREEMENTS AMENDMENT BILL 2016 EXPLANATORY MEMORANDUM (Circulated by authority of the Treasurer, the Hon

More information

HONG KONG. 1. Introduction. Contact Information Henry Fung Candice Ng

HONG KONG. 1. Introduction. Contact Information Henry Fung Candice Ng HONG KONG Contact Information Henry Fung +852 2969 4054 hernyfung@pkf-hk.com Candice Ng +852 2969 4016 candiceng@pkf-hk.com 1. Introduction 1.1. Legal context Currently, the Hong Kong Inland Revenue Ordinance

More information

Tax Insights Diverted Profits Tax: the future is here

Tax Insights Diverted Profits Tax: the future is here 1 December 2016 Australia 2016/22 Tax Insights Diverted Profits Tax: the future is here Snapshot On 29 November 2016, the Australian government released Exposure Draft (ED) legislation and an Explanatory

More information

BEPS and ATAD: Where do we stand?

BEPS and ATAD: Where do we stand? BEPS and ATAD: Where do we stand? by Nicky Gouder Tax Partner Summary Quick Overview of the BEPS Project and ATAD; A Comparison of the BEPS Recommendations and the ATAD obstacles, conflicts. Is harmonious

More information

COMMISSION STAFF WORKING DOCUMENT Accompanying the document. Proposal for a Council Directive

COMMISSION STAFF WORKING DOCUMENT Accompanying the document. Proposal for a Council Directive EUROPEAN COMMISSION Strasbourg, 25.10.2016 SWD(2016) 345 final COMMISSION STAFF WORKING DOCUMENT Accompanying the document Proposal for a Council Directive amending Directive (EU) 2016/1164 as regards

More information

International Tax. international tax developments in the Asia Pacific region. February 2015

International Tax. international tax developments in the Asia Pacific region. February 2015 International Tax A Hong Kong perspective on key international tax developments in the Asia Pacific region February 2015 An overview of key international tax developments and structuring considerations

More information

April 2009 BDO Transfer Pricing Centre of Excellence Transfer Pricing News

April 2009 BDO Transfer Pricing Centre of Excellence Transfer Pricing News April 2009 BDO Transfer Pricing Centre of Excellence Contents Australia 2 Australian Decision Considers Transfer-Pricing Methodology Transfer Pricing Implications of Business Restructuring Transfer Pricing

More information

Australian government introduces bill to combat multinational tax avoidance

Australian government introduces bill to combat multinational tax avoidance Australian government introduces bill to combat multinational tax avoidance The Australian Treasurer introduced a bill to combat multinational tax avoidance into parliament on 16 September 2015. The proposals

More information