Fair taxation of the digital European Commission DG TAXUD. economy

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Fair taxation of the digital European Commission DG TAXUD economy

The issue at stake Difficulty to tax/ opportunities for tax avoidance Lack of a level playing field and distortion of competition Less revenue for public budgets/negative impact on social fairness Risk of internal market fragmentation Inadequate tax rules for the digital economy Current tax rules Taxation based on physical presence Profit attribution based on analysis of traditional factors Drive towards the digital economy Increased user contribution to value creation Increased use of knowledge, data, intangible assets More complex and global value chains Data as new source of revenue

All these issues are only set to grow Source: Global Top 100 Companies by market capitalisation' PWC, 2017; Financial Times Global 500 database, 2006. 3

Context OECD/G20 BEPS Action 1 report (2015) Work under Estonian Presidency Letter from 10 Ministers of Finance calling for EU action September 2017 Communication: A Fair and Efficient Tax System in the European Union for the Digital Single Market European Council conclusions of 19 October 2017 ECOFIN Council conclusions of 5 December 2017 Public consultation (October 2017 January 2018) OECD Interim report / G20 Finance Ministers meeting Digital taxation package (21 March 2018) 4

The architecture of the proposals International level EU Contribution will feed discussions at Comprehensive solution (change in corporate taxation rules) Interim solution (indirect tax) Digital Presence Directive Digital Presence Recommendation will be integrated into Digital Services Tax Directive (amended) CCCTB 5

Comprehensive solution Policy objectives Misalignment between place where value is created and place where profits are taxed. Where to tax? Need to update the taxable nexus - absence of physical presence. What to tax? Need to adapt the criteria for profit allocation - data and users contribute central input to the digital business models. 6

Significant Digital Presence Digital interface required Taxpayer MS Digital interface Accessible by users Through which digital services are provided 7

Significant digital presence Where to tax? "Significant digital presence" What to tax? Allocation of profits to a "significant digital presence" Revenues from supplying digital services exceeds EUR 7 million or Functional analysis Builds on the arm's length principle risks, assets, functions. More than 100 000 users User activities contribute to economic ownership of intangible assets and to value creation. or Number of business contracts exceeds 3 000 Profit split method e.g. based on R&D expenses or user data collected.

Significant digital presence No new tax. Within existing corporate tax systems of MSs. Applies to entities in a MS or in a 3rd country (where no DTC). Solution must ultimately be global.

Interim measure Why do we need an interim measure? Agreeing a comprehensive solution at global level is complex. In the meanwhile risk of erosion of tax bases. Trend towards diverse unilateral interim solutions uncoordinated approach and risk of fragmentation of the Single Market ("patchwork" of 28 interim solutions). Harmonised interim solution - Digital Services Tax (DST): Protect integrity of the Single Market. Ensure level playing field within the Union. Avoid erosion of national tax bases. 10

Digital Services Tax Activities with the highest user participation Advertising User value creation Intermediation Sale of user data 11

Digital Services Tax into perspective DST is compliant with: International obligations Double Taxation Agreements WTO OECD OECD Interim report (chapter 6) does not endorse the introduction of interim measures, but outlines design elements to be taken into account. EU law TFEU fundamental freedoms (e.g. freedom to provide services in Article 56 TFEU). Other legislation (VAT, data protection ). Design of the interim measure 12

Digital Services Tax Revenues as a proxy for value creation. Tax rate - 3% of gross revenues. Thresholds (cumulative) protect SMEs and start-ups: 750 M total annual worldwide revenue; and 50 M total annual revenue from digital activities in the Union. Place of taxation - where users are located - revenues allocated proportionally. Reporting obligations - possibility to fulfil through One-Stop-Shop mechanism (VAT-inspired). 13