Presentation by Shigeto HIKI

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Transcription:

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 Asian Countries in Tokyo, April 23, 2014

Content Background and Outline of BEPS Action Plan BEPS Action Plans Japan Tax Reform 2014 Content 1

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Why BEPS? Why now? Focus has historically been on the development of common standards to eliminate double taxation for cross border investments Model Tax Convention, which serves as the basis for over 3,000 bilateral tax treaties Transfer Pricing Guidelines, which provide common standards for allocating income among members of a multinational group Prevention of double taxation remains core work but there is now recognition that the issue of double non-taxation due BEPS should also be tackled Unprecedented public attention on corporate tax affairs Source: Presentation material in OECD Live Webcast (2 nd April 2014) Background and Outline of BEPS Action Plan 3

Problems caused by BEPS MNEs reduce their tax burden by aggressive tax planning using loopholes in the interaction of countries domestic tax laws Government - Less revenue - Undermine the integrity of tax system - Under-fund of public investment in developing countries Individual - Individual taxpayers who cannot shift their income away from jurisdictions where income producing activities are conducted bear a greater share of the burden Business - Corporation that operate only in domestic markets have difficulty competing with MNEs that have the ability to shift their profits across borders to avoid or reduce tax. Background and Outline of BEPS Action Plan 4

How can the BEPS be addressed? Most BEPS planning is legal if governments are unhappy with results, the rules should be changed Multinational enterprises often take advantage of loopholes in tax rules of different countries No single country acting unilaterally can effectively address the issue Uncoordinated actions by governments could produce the risk of double and possibly multiple taxation for businesses An internationally coordinated approach is needed that will not only facilitate and reinforce domestic actions to protect tax bases but will also provide comprehensive international solutions Background and Outline of BEPS Action Plan 5

History of BEPS Project - At the G20 Summit (Los Cabos, Mexico), reiterate the need to prevent base erosion and profit shifting - At the plenary of the Committee of Fiscal Affairs (CFA), the BEPS Project was launched - Criticism against tax avoidance by Starbucks, Google, Amazon, Apple heated up politically - The UK and German Finance Minister issued joint statement concerning BEPS (French Finance Minister supported) - CFA endorsed the BEPS report Addressing BEPS, which was submitted to G20 - At the G8 Summit (Lough Erne), G8 endorsed the BEPS Project - CFA endorsed BEPS Action Plan - Publicly released BEPS Action Plan and submitted to G20 - At the G20 Summit (St. Petersburg, Russia), BEPS Action Plan was fully supported Background and Outline of BEPS Action Plan 6

The BEPS Action Plan Published in July, 2013 Consists of 15 action items organized around three main pillars: The coherence of corporate tax at the international level A realignment of taxation and substance Transparency, coupled with certainty and predictability Various types of deliverables Recommendation on domestic policy Revision of OECD s Model Tax Convention Revision of OECD s Transfer Pricing Guideline Analytical report on the issue Background and Outline of BEPS Action Plan 7

Timeline for BEPS deliverables September 2014 September 2015 December 2015 Digital Economy Report Hybrids Review of HTP Regimes Preventing Treaty Abuse Addressing TP aspects of Intangibles (Phase 1) Addressing TP documentation Multilateral Instrument Report CFC Rules Interest Deductibility Strategy on expansion of FHTP Addressing avoidance of PE status Addressing TP aspects of Intangibles (Phase 2) Addressing TP aspects of risks and capital Addressing TP aspects of other high risk transactions Report on Data and Economic Analyses Mandatory Disclosure Rules Dispute Resolution Addressing TP Interest Deductions Revision of HTP Criteria Multilateral Instrument Background and Outline of BEPS Action Plan 8

Organization of work Work being carried out by the Committee on Fiscal Affairs (CFA) via its subsidiary bodies OECD and non-oecd G20 Countries are Associates in the Project on an equal footing Colombia and Latvia have also joined on an equal footing as OECD Accession countries Background and Outline of BEPS Action Plan 9

Organizational Chart of CFA Forum on Tax Administration(FTA) Chair: Ireland Sharing of knowledge and experience of tax administration Task Force on Tax Crime and Other Crimes Chair: The US Improving co-operation between tax and anti-money laundering authorities Advisory Group Co-Chair: Canada, Malaysia Discuss the CFA work, especially global relations program, together with non-oecd countries Task Force on Digital Economy (New) Co-Chair: France, The US Identify features and challenges of the digital economy BEPS Multilateral Instrument Informal Group (New) Develop a multilateral instrument in order to enforce measures coping with BEPS efficiently Global Relations Program Tax assistance program for non- OECD countries. Japan is the largest donor of the program. The Committee of Fiscal Affairs (CFA) Chair: Masatsugu ASAKAWA Bureau member: Australia, Denmark, France, Germany, Italy, Korea, Mexico, The Netherlands, Spain, The UK, The US Working Party 1 Chair: The UK Revise the Model Tax Convention Working Party 2 Chair: Australia Analyze tax statistics and policies of member countries Working Party 6 Chair: Canada Revise Transfer Pricing Guideline Working Party 9 Chair: New Zealand Analyze issues related to VAT on the cross-border service transaction Working Party 10 Chair: Mexico Develop a standard of the Automatic Exchange of Information (AEOI) Working Party 11 Chair: Italy Develop recommendations for hybrid mismatches, CFC rules, rules that limit on interest deduction Background and Outline of BEPS Action Plan Forum on Harmful Tax Practice Co-chair: Japan (Mr.Hiki), France Review harmful tax practices of OECD countries Coordinating Body on the Convention of Mutual Administrative Assistance in Tax Matters Chair: Canada Monitor the implementation and development of the Convention Global Forum on Transparency and Exchange of Information for Tax Purposes Chair: South Africa Conduct peer reviews on implementation of exchange of information 10

Engagement with Stakeholders BEPS Action Plan Item Public Comment On Discussion Draft Public Consultation Deadline Action 1 Address the Tax Challenges of the Digital Economy Action 2 Neutralize the Effect of Hybrid Mismatch Arrangements 24 March 2014~ 14 April 2014 19 March 2014~ 2 May 2014 23 April 2014 September 2014 15-16 May 2014 September 2014 Action 6 Prevent Treat Abuse 17 March 2014~ 11 April 2014 14-15 April 2014 September 2014 Action 13 Re-examine Transfer Pricing Documentation 30 January 2014~ 23 February 2014 19 May 2014 September 2014 Background and Outline of BEPS Action Plan 11

Engagement with developing countries Developing countries input obtained through several mechanisms: Task Force on Tax and Development (28 March 2014) OECD Global Relations Program Global Fora on Tax Treaties (26-27 September 2013) on Transfer Pricing (26-28 March 2014) on VAT (17-18 April 2014) The UN (21-25 October 2013) Regional Consultations (South Korea (20-21 February 2014) etc ) Australia G20 Tax Symposium (9-10 May 2014) The input received will also be fed into the report for the G20 Development Working Group Background and Outline of BEPS Action Plan 12

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Action 1: The digital economy Objectives: Identify the main difficulties that the digital economy poses for the application of existing international tax rules Develop detailed options to address these difficulties Expected Output and Deadline: A report identifying issues raised by the digital economy and possible actions to address them (September 2014) Further detail will be presented by Piet Battiau later BEPS Action Plans 14

Action 5: Harmful Tax Practices Objectives: Revamp the work on harmful tax practices with a priority on Improving transparency Requiring substantial activity for any preferential regime Engage with non-oecd members on the basis of the existing framework Consider revision or additions to the existing framework Expected Output and Deadline: Finalise review of member country regimes (September 2014) Expand participation to non-oecd members (September 2015) Consider revisions or additions to existing framework (December 2015) BEPS Action Plans 15

Action 5: Issues under Discussion Review of preferential regimes in member countries and BEPS Associates Develop criteria for substantial activity in any preferential regimes Improve transparency, including compulsory spontaneous exchange on rulings related to preferential regimes BEPS Action Plans 16

Action 6: Treaty Abuse Objectives: Prevent the granting of treaty benefits in inappropriate circumstances Circumventing the limitations of the treaty itself Circumventing application of domestic tax law by using treaties Clarify that tax treaties are not intended to be used to generate double non-taxation Identify the tax policy considerations that countries should consider before deciding to enter into a tax treaty with another country Expected Output and Deadline: Change to the Model Tax Convention (September 2014) Recommendations regarding the design of domestic rules (September 2014) BEPS Action Plans 17

Action 6: Issues under Discussion How to prevent the granting of treaty benefits in inappropriate circumstances Limitation-on-benefits (LOB) Main purpose test Saving clause for treaty abuse targeted at circumventing domestic tax law Other specific anti abuse rules: Minimum holding period dividend transfer transactions Tie breaker rule dual residence entities: MAP BEPS Action Plans 18

Action 8: Transfer Pricing of Intangibles Objectives: Adopt a broad and clearly delineated definition of intangibles Ensure that profits associated with the transfer and use of intangibles are appropriately allocated in accordance with value creation Develop transfer pricing (TP) rules or special measures for transfers of hard-to-value intangibles Update the guidance on cost contribution arrangements Expected Output and Deadline: Revision of the TP Guidelines concerning transfers of intangibles (September 2014 and 2015) BEPS Action Plans 19

Action 8: Issues under Discussion WP6 had productive meetings in the end of March Tentative agreements were reached on most aspects of the 30 July 2013 Revised Discussion Draft Issue to be further discussed at the next WP6 meetings in May: Integration and correlation of Section B of Chapter VI with 2015 BEPS work on risk, recharacterization and capital (funding) BEPS Action Plans 20

Action 13: TP Documentation Objectives: Develop rules regarding transfer pricing documentations (including master/local master, Country-by-Country (C-by-C) reporting template) to enhance transparency for tax administration Expected Output and Deadline: Revision of the TP Guidelines concerning transfer pricing documentation (September 2014) BEPS Action Plans 21

Action 13: Tentative decisions taken by WP6 Eliminate transactional reporting in C-by-C template limit transactional reporting to local file Retain reporting of activity measures on a country basis number of employees, tangible assets, capital and retained earnings Require country level financial data for all countries but not entity-byentity reporting Include a list of entities and PE s included in each country with numbers / activity codes for each Provide flexibility regarding sources financial data provided a consistent approach followed for entire group and from year to year C-by-C template a separate document / not part of master file Clarify that the master file is supposed to be a high level overview Flexibility as to whether master file should be prepared on a group wide basis or by line of business BEPS Action Plans 22

Action 13: Issues under Discussion Filing and sharing process for C-by-C template and for master file By exchange of information By domestic law Guidance on languages used in documents The tentative decisions by WP6 would be further discussed BEPS Action Plans 23

Action 15: Multilateral Instrument Objectives: Analyze the tax and public international law issues related to the development of a multilateral instrument Develop a multilateral instrument designed to provide an innovative approach to international tax matters Expected Output and Deadline: Report identifying relevant public international law and tax issues (September 2014) Develop a multilateral instrument (September 2015) BEPS Action Plans 24

Action 15: Issues under Discussion The scope of the multilateral instrument The flexibility of the multilateral instrument to modulate Parties commitment (Combination of core provisions and opting-in/opting-out provisions) The mandate of an International Conference Scope (Implementing the BEPS Action Plan) Time (No more than 2 years) The longer term perspective BEPS Action Plans 25

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Changes in domestic taxation rules on the profits of a foreign enterprise Main aspects; the force of attraction principle to attributable income principle Adoption of the Authorised OECD Approach (AOA) Accordingly, Japanese tax treaty policy has changed: Adoption of the new Article 7 of OECD Model Tax Convention reflecting the AOA Japan Tax Reform 2014 27

From the force of attraction principle to attributable income principle Change from the force of attraction principle to attributable income principle based on the AOA Adopting the internationally accepted principle To ensure consistency with tax treaties concluded For example: Under the force of attraction principle, all Japanese source income is taxable regardless of whether such income is attributable to a PE in Japan or to a HQ in a foreign country. Under attributable income principle, the business profits attributable to a PE in Japan will be taxable regardless of whether the profits arise in Japan or not. Japan Tax Reform 2014 28

The force of attraction principle & attributable income principle The force of attraction principle All Japanese source income is taxable regardless of whether such income is attributable to a PE in Japan or to a HQ in a foreign country. Attributable income principle The business profits attributable to a PE in Japan will be taxable regardless of whether the profits arise in Japan or not. Foreign country Foreign Company Headquarter Other Foreign Country Foreign country Headquarter Other Foreign Country Japan Not recognize Internal dealings Branch(PE) Dividend income from a company Japan Recognize Internal dealings Branch(PE) Dividend income from a company Income from sales in Japan Income earned in Japan by HQ No tax in Japan Income from sales in Japan Income earned in Japan by HQ Offer foreign tax credit if the income is also taxed in other foreign country 29

Adoption of the AOA Attributable income principle Functionally separate entity approach Recognition of internal dealings Capital attributable to PE Foreign tax credit for PE Documentation Japan Tax Reform 2014 30

Other points to mention Similar rules for individual non-residents with a PE in Japan Applicable for; in case of companies, business years beginning on or after 1st of April 2016 in case of individuals, taxable years beginning on or after 1st of January 2017 Japan Tax Reform 2014 31

Thank you! ありがとう 32