PANEL I : Tax Treaties: opportunity or source of inequality?

Similar documents
The UAE has joined the Inclusive Framework on BEPS

Luxembourg Tax Alert OECD BEPS Multilateral Convention: Luxembourg s choices published

The Czech Republic signs Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS

Cyprus signs Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS

Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting

The Legal Status of the Multilateral Instrument (incl. BEPS Reports and Recommendations): What will be the challenges?

Belgium signs Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS and submits its MLI positions

Argentina signs Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS

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

Norway signs Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS

Bombay Chartered Accountants Society DTAA Course Multilateral Instrument (MLI) Note for discussion 20 th January Contents

Egypt signs Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS

Seminar E IFA/OECD. The Multilateral Instrument IFA & OECD 2017

Seamless tax solutions from territory to territory

BEPS - Current Status of Implementation in EU Countries. Prof. Guglielmo Maisto 1 March 2019

IFA Colombia V CONGRESO COLOMBIANO DE TRIBUTACIÓN INTERNACIONAL November 2016

Mauritius signs Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS

Proposed Changes to Ireland s Double Tax Treaties and the U.S. Perspective on MLIs. Chicago, Illinois 14 September ANNUAL MEETING

Hong Kong joins Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS

MULTILATERAL INSTRUMENT

Multilateral Instruments - Indian Perspective

CIOT-NOB European Branch Amsterdam Conference 2017

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

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

Japan signs Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS

IBFD Course Programme Practical Aspects of Tax Treaties

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

BEPS and ATAD: Where do we stand?

OECD releases final BEPS package

Luxembourg publishes draft law ratifying Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS

CPA Esther Wahome. Thursday, 16 August 2018

IBFD Course Programme International Tax Planning after BEPS and the MLI

Analysing the likely trends in treaty anti-avoidance provisions in selected Asian jurisdictions post OECD BEPS Action 6

European Commission publishes Anti Tax Avoidance Package

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

KPMG Japan Tax Newsletter

Recent BEPS related legislation/guidance impacting Luxembourg

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

The Guiding Principle and the Principal Purpose Test

ACTL Conference on REITs

BASE EROSION AND PROFIT SHIFTING ISSUES : THAILAND

IBFD Course Programme Current Issues in International Tax Planning

Action 6 Preventing the granting of treaty benefits in inappropriate circumstances

Multilateral Instrument to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting

7th Global Headquarters Conference Swiss Tax Update in the international context

India signs Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS

Tax Obstacles in Cross Border Planning

Luxembourg explains its positions on Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS

The OECD s 3 Major Tax Initiatives

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

Recent and expected tax changes in Bulgaria and Greece important for cross-border operations

Ireland signs Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS

The Global Tax Reset 2017 Audit Committee Symposium

General Comments. Action 6 on Treaty Abuse reads as follows:

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

KPMG Japan Tax Newsletter

TAXREP 34/15 (ICAEW REPRESENTATION 92/15)

Korea signs Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS

The ATOZ Chair for European and International Taxation welcomes you to: The MLI and the OECD Update 2017: BEPS in Tax Treaties

OECD releases draft changes to be incorporated in 2017 update to OECD Model Tax Convention

OECD releases final report under BEPS Action 6 on preventing treaty abuse

The Multilateral Convention and BEPS Investment in and from India

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

General Anti-Avoidance Rules (GAAR) / Principal Purpose Test (PPT) for Dividends, Interest & Royalties

Corporate Taxpayers Group

Hot topics Treasury seminar

EUROPEAN COMMISSION PRESENTS ANTI-TAX AVOIDANCE PACKAGE

International Taxation Conference FIT-IBFD

UN HANDBOOK ON SELECTED ISSUES IN PROTECTING THE TAX BASE OF DEVELOPING COUNTRIES

Trends I Netherlands moves away from fiscal offshore industry

Tax Summit 2017 THE EU ANTI-TAX-AVOIDANCE DIRECTIVE taking a further look at the GAAR 27 October 2017

2018 Tax Budget. new perspectives UPDATE BDO TAX ADVISORS

Untangling the PPT s burden of proof

Università Carlo Cattaneo LIUC

Preventing the Granting of Treaty Benefits in Inappropriate Circumstances

PROPOSED GENERAL ANTI-AVOIDANCE RULE COMMENTARY FOR A NEW ARTICLE

Global BEPS update Tuesday 13 June 2017, 9:00am 10:00am EDT

EU Anti-Tax Avoidance Directive 2: hybrid mismatches with third countries

Base Erosion Profit Shifting (BEPS)

When The Dust Has Settled (Part 1)

India s MLI Positions

IBFD Course Programme Current Issues in International Tax Planning

Curaçao (submitted by the Kingdom of the Netherlands on behalf of Curaçao)

Multilateral Instrument. Laura Gheorghiu, Nadia Rusak

OECD DISCUSSION DRAFT: FOLLOW UP WORK ON BEPS ACTION 6, PREVENTING TREATY ABUSE

AFRICAN TAX ADMINISTRATION FORUM (ATAF)

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

SMU-TA Centre for Excellence in Taxation Inaugural Conference Tax Structures using Branches and Hybrid Entities Moving with the times

ASPAC and the Multilateral Instrument Implementing the Treaty Related BEPS Provisions

Tax Flash by PwC experts

KPMG Japan Tax Newsletter

BEPS Action 14: Making dispute resolution mechanisms more effective

Transfer Pricing Alert

India signs the Multilateral Convention

Tax footprint report 2017

India signs the Multilateral Convention Provisional List of reservations and notifications released

Russian international tax planning & transfer pricing developments

Expanding the Tax Base in Kenya: A Case for Innovation

Practical aspects of dealing with the MLI: an instruction manual - Taxes Committee newsletter article, August 2018

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

Transcription:

PANEL I : Tax Treaties: opportunity or source of inequality? Irma Johanna Mosquera Valderrama Associate Professor of Tax Law i.j.mosquera.valderrama@law.leidenuniv.nl Bij ons leer je de wereld kennen 1

Topics 1. DTA and developing countries 2. How Anti-BEPS Actions have been implemented in developing countries so far and how should developing countries benefit from them? Main focus treaty abuse 3. Recommendations and conclusions 2

1. DTA and developing countries Advantages Treaties are regarded as an instrument to attract investment and to provide double taxation relief, to prevent tax avoidance (new developments -double non-taxation) Treaties can provide certainty in the way that the investment will be taxed since it provides specific rules to allocate the taxing rights Treaties contribute to enhance transparency and exchange of information in tax matters (new multilateral developments) and to provide assistance in tax collection Disadvantages Limit the application of the source-based approach Lack of certainty with regard to the cost versus benefit of concluding tax treaties 3

1. DTA and developing countries Developed countries Discussion Dutch Parliament (the Netherlands): Introduction of treaty anti-abuse measures (i.e. main purpose test) with several countries including African countries to prevent treaty shopping Developing countries Understanding of the policy choices and the reasons why the choices are needed for the country, e.g. MFN clause in tax treaties Requires political commitment (to sign tax treaties with the countries where investment is being located) Require training of tax treaty negotiators and of dispute resolution bodies!! Long-term investment in education and training International organizations UN: Papers on selected topics in negotiation of tax treaties with developing countries. Limited reference to treaty abuse 4

1. DTA and developing countries Link between treaties and responsible investment Tax treaties not only for purposes of obtaining the tax treaty benefits, but also to ensure responsible investment. ESG to promote Environmental, Social and Governance factors which are also present in investment (PRI Principles for responsible investment: https://www.unpri.org/about/what-is-responsible-investment) Responsible investment addresses the governance factor Therefore, the investor: - should not engage in aggressive tax planning - should ensure that the right amount of taxes is being paid, and - should not engage in corruption This clause adds to the new BEPS approach on prevention of double non-taxation 5

2. BEPS and tax treaties BEPS to prevent tax base erosion and profit shifting by multinationals 4 Minimum Standards (113 countries Inclusive Framework March 2018) 10 Best Practices 1 Multilateral Convention (78 signatories) Implementation of BEPS Countries are making different choices in the implementation of BEPS See I.Mosquera. Output Legitimacy Deficits and the Inclusive Framework of the OECD/G20 Base Erosion and Profit Shifting Initiative. Bulletin for International Taxation, 2018 (Volume 72), No. 3 Changes of BEPS (and MLI) to tax treaties Dual resident entities Permanent establishment Domestic linking rules Prevent treaty abuse provisions and avoidance of double non-taxation Effective dispute resolution mechanisms (including arbitration) NOT: allocation of taxing rights between residence and source!! 6

3. BEPS and developing countries: Treaty abuse Complex menu of options due to the opt-in; opt-out clauses: PPT (with or without discretionary relief), Detailed LOB, PPT as interim measure, Supplement PPT with simplified LOB Difficult to manage due to capacity constrains and tax treaty policy choices Mismatching of choices may result in multiple mini-treaty negotiations Changes in tax treaty policy e.g. from PPT to simplified LOB with PPT (e.g. some Latin American countries) Some examples: The Netherlands and Singapore PPT with discretionary relief Colombia PPT as interim measure but intend to apply PPT with simplified LOB Argentina PPT with simplified LOB Costa Rica PPT Burkina Faso and Cameroon: No option and then? Senegal: Reservation to apply PPT if there is main purpose test 7

3. BEPS and developing countries: Treaty abuse One of the principal purposes vs. main purpose, sole purpose - e.g. commercial reason and tax reason: PPT applies if one of the principal purposes is a tax reason - Large tax benefit in taxation does not mean always application PPT if in accordance to the object and purpose of the treaty - LOB test may pass, but under PPT not - PPT discretionary relief (or not) may raise competition among countries since the tax administrations will have a discretionary power Some scholars: Recommend to choose for artificiality (objective wholly artificial arrangements) instead of reasonable test (subjective) test. Desirable? Tax Administration and Taxpayer: Burden of proof. - Subjective element: Reasonable to conclude having regard to all relevant facts and circumstances that one of the principal purposes - Objective element: Establish that granting of a benefit in accordance with the object and purpose of the relevant treaty provisions. 8

3. BEPS and developing countries: Treaty abuse Object and purpose of (i) provision in the treaty? AND (ii) treaty in general? Provision in the treaty: Use PPT to solve sloppy drafting or bad treaty negotiation? GAAR in some countries only for sloppy drafting if the outcome was so unlikely that no legislation was introduced to prevent to counter such outcome GAAR in all cases also in case of sloppy drafting - Will countries if fail to apply PPT, still use GAAR to deny treaty benefits? GAAR only if authorized in the DTT (analysis in accordance to the object and purpose of the treaty) GAAR even if not authorized in the treaty (e.g. Argentina), and how the analysis will take place? 9

3. BEPS and developing countries: Treaty abuse Not clear the relationship PPT and GAAR PPT not easy to interpret in practice Leeway to interpretation by the tax administration and tax court (raise competition in the application of the PPT) No certainty for taxpayer. Rules should be clear transparent: Availability, clarity, simplicity and reliability Repair of sloppy negotiation or drafting of treaty provision that will be also influenced by the title and preamble of the treaty Would have been useful to use the test of artificiality (objective) instead of the reasonable test (subjective)? 10

4. Conclusions -Recommendations International tax standards have changed through BEPS, but not yet clear how these new standards will benefit developing countries? more uncertainty and compliance cost for companies tax competition for developing and developed countries vis-á-vis countries not implementing the BEPS minimum standards (inclusive framework 113, MLI 78, 193 countries in the world) Not clear how the EU standard of good governance in tax matters will be implemented in respect of third countries. Including developing countries? Research on the differences in the implementation of the minimum standards is needed. See GLOBTAXGOV project 12 countries research. EU-ERC funded research project (2018-2023): GLOBTAXGOV: A New Model of Global Governance in International Tax Law Making 11

Twi Visit us at Leiden University, Institute of Tax Law and Economics GLOBTAXGOV blog https://globtaxgov.weblog.leidenuniv.nl/ Twitter: @IrmaMosqueraV Bij ons leer je de wereld kennen 12