Study on Transfer Pricing and Developing countries

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Study on Transfer Pricing and Developing countries

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Transcription:

Mining Taxation: Transforming mineral resource wealth into sustainable development Study on Transfer Pricing and Developing countries Jean-Emmanuel Dulière Head of section Governance, international issues and double taxation DG Taxation and Customs Union, European Commission Addis-Abeba, 9-10 December 2011 1

OUTLINE Purpose of the study Preconditions for TP reform Recommendations Follow up 2

Purpose of the study - Background April 2009 Commission Communicaton on Good governance in the tax area April 2010 Commission Communication on Tax and Development: Need for developing countries (DCs) to progress in a number of areas, particularly increasing capacity to raise tax revenues adopting international standards in the tax area At the same time, need to promote transparency and accountability in the international tax environment. 3

Purpose of the study Background (2) One area of particular focus reflecting this twin concern: Transfer pricing Identified as key issue for both Domestic Resource Mobilization and reducing barriers to FDI Encouragement to adopt and apply Transfer Pricing [TP] legislation, in line with OECD TP guidelines. Challenge: knowledge and expertise gap EC took a commitment to assess specific needs and to support DCs in this area hence, the TP study by independent consultants Strong support from the EP [Resolution of 8 March 2011 and creation of a Budget Line for promoting governance in the tax area] Aligned with other international efforts: G-20, OECD etc. 4

Purpose of the study Objectives Identify challenges to, and benefits from, TP reforms for developing countries Assess options and table recommendations on: suitable approaches for TP reform best forms of assistance Four countries were selected for in-depth analysis: Kenya [TP legislation since 2006] Vietnam [TP Circulars since 2001] Honduras [at the verge of adopting TP legislation] Ghana [no TP legislation] 5

Process Broad spectrum of stakeholders [international donors and organisations, government officials, civil society organisations, think-tanks and respective developing countries] consulted in the preparation. Consultants took most stakeholders comments into account. Process enabled to largely ensure a well balanced study based on shared TP knowledge available in the international community. Study presented at a number of events: February-Sept. ITC Workshops in Brussels and Bonn OECD Task Force on Tax and Development June UN Meeting on Practical Transfer Pricing Issues for DCs in NY 6

Why and how TP reform? 2/3 of all business transactions worldwide take place within a group DCs are opening up to foreign direct investment (about 1/5 of GDP in the four pilot countries) Potential increase in tax revenue > anticipated costs of TP reforms Necessary legal framework to enforce TP 7

Economic and political preconditions Legal preconditions Comprehensive accounting rules Comprehensive income tax law Preconditions for TP reform Existing network of tax treaties [to provide a legal mechanism to address double taxation and set exchange of information] Tax administration Staff capacities Tools for exchange of information within the tax administration Information technology 8

Recommendations Recommendations for future donor support Universal recommendations Planning of TP reform processes should take ongoing initiatives of donor support into consideration Donor support should be tailored to individual needs of different countries However, all developing countries concerned could welcome assistance in four specific areas: 1. Broadening of treaty networks and gaining practice in application 2. Identification and pooling of local comparables 3. Building TP expertise, HR policy and adequate control mechanisms 4. Developing risk-based audit procedures 9

Recommendations (1) Cooperation - Broadening of treaty networks and gaining practice in application Development of DTCs networks to foster local investment climate Creation of appropriate domestic framework for exchange of information Assistance in negotiating treaties Encouragement to join international structures and processes [e.g. Global Forum] 10

Recommendations (2) Comparables - Identification and pooling of local comparables Ensuring the implementation of TP provisions and tackling the lack of local comparables Developing data bases that contain information on comparables on a local or pan-regional level 11

Recommendations (3) Capacity - Building TP expertise, HR policy and adequate control mechanisms Setting up TP unit/team Tailoring strategic HR policies to attract and maintain core staff, mid/long-term revenue targets Developing and implementing suitable internal policies [compliance checks, quality reviews, learning programmes, etc.] 12

Recommendations (4) Audit - Developing risk-based audit procedures Shaping audit strategies Mapping of local economy and industry sectors to facilitate risk-based selection procedures Taxpayers features: size, structure, complexity of the business, transparency Other risk-based selection criteria [transactions with socalled «tax havens» and low tax jurisdictions] 13

Staged approach to TP reform 14

Roadmap to TP reform 15

Follow up (1) Study is being used to shape EC s support to DCs in the adoption and implementation of TP legislation in order to: enhance domestic resources mobilization by processing tax information better and ensuring tax compliance for all economic actors, strengthen implementation of international standards and particularly the principles of good governance in the tax area, attract further investments by multinational companies by providing a tax system based on international standards. Other partners (namely, EU Member States, international partners and developing countries) are encouraged to make the most of the Study. 16

Follow up (2) INITIAL EC EFFORTS Objective: place TP high on EC agenda of cooperation with DCs on tax matters enhance transfer pricing capabilities of a DCs focus efforts on some of the study s pilot countries Means: work, to the largest extent possible, in tandem with regional and international partners EC already in cooperation with 17

Follow up (3) ATAF (2 workshops on TP foreseen for 2012 in planning stage) UN (support for the finalization of the TP Manual) OECD and WB: Joint Tripartite Initiative on TP adopted in July 2011 (ToRs already adopted, Steering Committee already established, conversations ongoing to align joint efforts) 18

Follow up (4) In 2011 EC launched exploratory bilateral talks on how to assist: Ghana, particularly as regards: Implementation of the legislation foreseen to be in force from January 2013 Establishment of data base for comparables Building negotiation expertise (with MNEs and for Treaties) Establishing auditing capacities 19

Follow up (5) Vietnam, particularly as regards: Establishing full-fledged TP legislation Introducing provisions for the implementation of legislation Improving accounting practices Establishing auditing capacities Designing documentation requirements 20

The Study is available at the European Commission website. http://ec.europa.eu/taxation_customs/common/publications /studies/index_en.htm http://ec.europa.eu/europeaid/what/economicsupport/taxation/index_en.htm 21

Merci! Thank you! 22