OECD: Tax Report by the Secretary General to the G20 Finance Ministers

23 July, 2018

On 23 July 2018 the OECD released the tax report from the OECD Secretary General to the G20 Finance Ministers.  The G20 Finance Ministers met on 19 and 20 July 2018. Tax Challenges Arising from Digitalisation An interim report issued in March

See More

Lithuania ratifies multilateral convention to implement tax treaty related measures to prevent BEPS (MLI)

18 July, 2018

On 14 June 2018, Lithuania ratified the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS (MLI) by the Law No. XIII-1271, as published in the Official Gazette on 26 June 2018. This means that Lithuania has completed

See More

OECD: Discussion Draft on Transfer Pricing for Financial Transactions

05 July, 2018

On 3 July 2018 the OECD released a discussion draft on financial transactions in relation to BEPS actions 8 to 10 (ensuring that transfer pricing outcomes are in line with value creation). This has been issued as part of the follow-up work on the

See More

OECD and IGF issue draft toolkit on costing behavioural responses to tax incentives

25 June, 2018

On 18 June 2018 the OECD published a draft toolkit to help developing countries identify and cost the potential behavioural responses by mining investors to tax incentives. Comments on the draft toolkit are invited from interested parties by 6 July

See More

OECD considers updating guidance on transfer pricing for intragroup services

25 June, 2018

The OECD is considering revising the guidance in Chapter VII (intragroup services) of the transfer pricing guidelines. A consultation has been held, for which the closing date for comments was 20 June 2018, and the comments from interested parties

See More

OECD: Working Party considers revising Chapter IV of the transfer pricing guidelines

25 June, 2018

The OECD is considering revising the guidance in Chapter IV (administrative approaches) of the transfer pricing guidelines. A consultation has been held, for which the closing date for comments was 20 June 2018, and the comments from interested

See More

OECD: Multilateral Instrument ratified by Serbia

25 June, 2018

The OECD has reported that on 5 June 2018 Serbia deposited with the OECD Secretary General its instrument of ratification in relation to the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting

See More

Luxembourg: Cabinet approves a bill for the ratification of BEPS MLI

21 June, 2018

On 15 June 2018, the Luxembourg Cabinet approved a bill ratifying the Multilateral Agreement on the Implementation of Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting (MLI), which Luxembourg signed on 7 June 2017. Upon

See More

Malta ratifies MLI

16 May, 2018

On 27 April 2018, Legal Notice 142 of 2018, which ratifies the BEPS Multilateral Instrument (MLI) in Malta, was published in the Official Gazette No. 19,984. Malta now needs to deposit its instrument of ratification, approval or acceptance of the

See More

OECD: Further guidance on attribution of profits to permanent establishments

25 March, 2018

On 22 March 2018 the OECD issued a report entitled “Additional Guidance on the Attribution of Profits to Permanent Establishments, BEPS Action 7”. This latest guidance follows the issue of a discussion draft on 22 June 2017 containing guidance

See More

Slovenia deposited its instrument of ratification of the MLI

25 March, 2018

The OECD announced on 22 March 2018 that the multilateral monvention to implement tax treaty related measures to prevent base erosion and profit shifting (MLI) will first enter into force on 1 July 2018, following Slovenia’s deposit of the fifth

See More

OECD announces date of entry into force of multilateral instrument

23 March, 2018

On 22 March 2018 the OECD announced that the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting is to enter into force on 1 July 2018.  The Convention allows the signatories to quickly and

See More

EU: Proposals on taxation of digital activities

21 March, 2018

On 21 March 2018 the European Commission proposed rules on taxation of digital business activities in the EU. These tax measures propose to adapt the tax laws for the digital economy. The tax rules for digital businesses including social media

See More

UK: update on corporate taxation and the digital economy

18 March, 2018

In March 2018 the UK has issued an updated position paper on corporate taxation and the digital economy, following an earlier consultation on the issue. The UK government considers that the engagement and participation of users is important for

See More

OECD: Interim report on tax challenges of the digital economy

18 March, 2018

The interim report on tax challenges of the digital economy was published on 16 March 2018. The 2015 report on action 1 of the action plan on base erosion and profit shifting (BEPS) on tax challenges of the digital economy outlined the ways in

See More

OECD: Tax disclosure rules for advisors and intermediaries

16 March, 2018

On 9 March 2018 the OECD has issued model disclosure rules requiring lawyers, accountants, financial advisors, banks and other service providers to inform tax authorities of any schemes they set up for their clients to avoid reporting requirements

See More

OECD: Third round of peer reviews on dispute resolution mechanisms

16 March, 2018

On 12 March 2018 the OECD released the third round of peer reviews relating to improving tax dispute resolution mechanisms to make them more timely, relevant and effective. Action 14 of the action plan on base erosion and profit shifting (BEPS) was

See More

Australia: Implementing the OECD Hybrid Mismatch Rules

15 March, 2018

The Australian Government announced in the 2016-17 and 2017-18 Budgets that it would implement the Organisation for Economic Co operation and Development’s (OECD) rules aimed at eliminating double non-taxation benefits from hybrid mismatch

See More