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

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Transcription:

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

Then Allocation of taxing rights based on points of contact: Physical presence (concept of PE, Fixed Base, Dependent Personal Services, Capital Gains and Land Income) Shared rights for utilisation of capital (Dividends, Interest and Royalties) Related entity dealings based on CUPs Remoter connections taxed to state of residence Residence defined to include incorporated entities

Now Limitation of Benefits clauses Non permanent permanent establishments Landrich companies and capital gains Exchange of Information Mutual Assistance in Recovery of Taxes Indirect (and not so indirect) attacks on CUP methodology for related entities

And more to come BEPS Underlying assumptions as to what generates profits As to what consequences will flow from changes to the rules Are we seeing, sub silentio, a move to profit splits?

Outcomes (Coleclough) OECD model treaty has always favoured capital exporting countries to the detriment of capital importing countries Tax competition between developed economies has given MNEs the opportunity to not pay tax on profits In the case of the USA, due to active CFC active income rules and check the box, holding companies in tax havens are treated as active traders. This allows US HQ d MNEs to compete outside the US tax free (surely an unlawful export subsidy)

OECD/EU Activity 1997 EU: Code of Conduct for business taxation 1998 Report: Harmful Tax Competition An Emerging Global Issue 2001 Discussion paper: The Impact of the Communications Revolution on the Application of Place of Effective Management" as a Tie Breaker Rule 2004 TAG Final Report: Are the Current Treaty Rules for Taxing Business Profits Appropriate for E-Commerce?

OECD 1998

Harmful Tax Competition redefined Original EU/OECD approach Accommodation of new members and recognition of right of national choice Ring fencing Cross-border assymetries Secrecy and facilitation of tax evasion Are we now back to the original attitiude?

OECD/G20 Activity 12/02/2013 BEPS-Report (diagnosis) 15/02/2013 G20 Finance Ministers meeting in Moscow OECD Action Plan on BEPS (therapy) 05/09/2013 G20 Leader s Summit in St. Petersburg

G20 Finance Ministers, Moscow 2013 Addressing Base Erosion and Profit Shifting (BEPS), Tackling Tax Avoidance, Promoting Automatic Exchange of Information, and Fighting Noncooperative Jurisdictions

G20 Finance Ministers (cont.) Ensuring that all taxpayers pay their fair share of taxes is a high priority in the context of fiscal sustainability, promoting growth, and the needs of developing countries to build capacity for financing development. Tax avoidance, harmful practices and aggressive tax planning have to be tackled.

G20 Finance Ministers (cont.) We look forward to regular reporting on the development of proposals and recommendations to tackle the 15 issues identified in the Action Plan and commit to take the necessary individual and collective action with the paradigm of sovereignty taken into consideration.

G20 Finance Ministers (cont.) Profits should be taxed where functions driving the profits are performed and where value is created.

G20 Finance Ministers (cont.) 19. We commend the progress recently achieved in the area of tax transparency and we fully endorse the OECD proposal for a truly global model for multilateral and bilateral automatic exchange of information. We are committed to automatic exchange of information as the new, global standard 20. We encourage all countries to tackle the risks raised by opacity of legal persons and legal arrangements.

The BEPS Action Plan 1 Addressing the tax challenges of the digital economy 2 Neutralise the effect of hybrid mismatch arrangements 3 Strengthen CFC rules 4 Limit base erosion via interest deductions and other financial payments 5 Counter harmful tax practices more effectively, taking into account transparency and substance 6 Prevent treaty abuse 7 Prevent the artificial avoidance of PE status 8 10 Assure that transfer pricing outcomes are in line with value creations intangibles (8), Risks and capital (9), Other high risk transactions (10)

Action Plan (cont.) 11 Establish methodologies to collect and analyse data on BEPS and the actions to address it 12 Require taxpayers to disclose their aggressive tax planning arrangements 13 Re-examine transfer pricing documentation 14 Make dispute resolution mechanisms more effective (MAP) 15 Develop a multilateral instrument

Premises Disclosure and transparency will lead to remedial action Existing transfer pricing rules do not adequately capture value creation Interest deductions unfairly reduce local profits Tax asymmetry is inappropriate Low taxes are a race to the bottom

Response Much of the international architecture widely known and in the case of the US regularly revisited by policy makers Transfer pricing rules require market value if governments want global formulary apportionment, they should say so If taxing rights allocated to one country, is it not an exercise in sovereignty to not exercise them?

Response (cont.) Corporate Tax essentially a consumption tax anyway Redefinition of harmful tax competition to lowering of tax liability to attract economic activity and investment Implicit assumption that behaviour won t change except that tax collections increase inconsistent with experience

Inconsistency These actions are not directly aimed at changing the existing international standard on the allocation of taxing rights on cross-border income OECD Action Plan on BEPS, page 10 Here a good start would be to consider inserting a nondouble taxation provision into the OECD and U.N. models that would deny exemption if the income is not taxed in the other state." Jeffrey Owens, ex-director of OECD Centre for Tax Policy and Administration

Problems ahead (US) Transparency Delaware (1 million companies) Wyoming Nevada

Problems Ahead (US)(2) 2009 East Asia patent applications from East Asia exceed US for first time. 2011 East Asia R&D expenditure exceeds US for the first time Mickey Mouse Act Draft IP Chapter in TPP treaty

Problems ahead UK(1) The Government remains committed to interest being relieved as a normal business expense irrespective of where the proceeds of the loans are put to use... The UK s current interest rules, which do not significantly restrict relief for interest, are considered by businesses as a competitive advantage; other comparable countries tend to have more severe restrictions on such relief. HM Treasury & HMRC, Corporate Tax Reform: Delivering a More Competitive System, November 2010, p 14.

Problems ahead UK(2) The Patent Box legislation has been introduced to encourage innovation by providing an incentive for companies to locate their high-value jobs associated with the development, manufacture and exploitation of patents in the UK and maintain the UK s position as a world leader in patented technologies. From April 2013, a key benefit of Patent Box is a lower effective rate of corporation tax on profits attributable to UK or European patents - by 2017 the tax rate for such profits will be as low as 10%. HM Treasury has calculated the cost of the relief at 1bn per year

Problems ahead (Netherlands) (The Netherlands) promises to put more substance in shell companies MNCs [Multinational Corporations] use. Turns out the substance ain t gonna be much. Lee Sheppard, Tax Analysts (2013)

Assessments (Kessler) Controversial and open-ended project due to the clash of interests / distortion of competition - biggest problems in USA, massive export subsidy and offshore dilemma - CH, NL, Lux, UK,... are juvenile delinquents due to their preferential regimes Worst case scenario: - massive treaty override, massive double taxation, endless TP disputes,...

Assessments (Devereux) A confused, complex mass of arcane, arbitrary and sometimes illogical rules not a corporation tax fit for the 21st century Competition will still drive rates down and reliefs up Location of real economic activity will still be distorted Cross-country arbitrage opportunities will remain

And another thing OECD Model Convention MAP compulsory arbitration article Not included in many treaties Slow to operate 2 years No restraint upon multiple collection No limitation of penalties to total amount of tax saving

A race to the bottom OR A race to the top?

THANK YOU