US Treasury Secretary backs the OECD talks on Global Minimum Tax

April 06, 2021

On 5 April 2021 the US Treasury Secretary Janet Yellen announced that she is working with the G20 countries to reach an agreement on a global minimum corporate tax rate. This is a reference to US cooperation with the G20/OECD initiative to design a

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OECD: Exchange of Information commences under Global Standard on Substantial Activities

April 02, 2021

From 31 March 2021 twelve low tax jurisdictions have begun exchanging information under the global standard on substantial activities. The OECD’s Inclusive Framework aims to ensure through application of the global standard that substantial

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OECD: 2020 Peer Review Report on Treaty Shopping

April 01, 2021

On 1 April 2021 the OECD released the latest annual peer review report on adoption of measures against treaty shopping. The report on Action 6 of the OECD project on base erosion and profit shifting (BEPS) noted that abuse of double tax

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OECD Tax Talk Reviews Recent Developments

March 04, 2021

The OECD Tax Talk on 4 March 2021 provided updates on important areas of OECD tax work. Taxation of the Digital Economy Countries have recognised the need to further simplify the proposals in Pillar One of the taxation of the digital economy

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OECD: BEPS Action 5 Peer Review Transparency Framework

February 22, 2021

On 22 February 2021 the OECD issued a report outlining the details of the new peer review framework for the peer reviews under Action 5 of the OECD/G20 action plan on base erosion and profit shifting (BEPS). Action 5 relates to action to combat

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OECD: Final Batch of Stage 1 Peer Review Reports on Dispute Resolution

February 16, 2021

On 16 February 2021 the OECD issued the final batch of stage 1 peer review assessments in relation to BEPS Action 14 on making dispute resolution mechanisms more effective. Countries that are members of the OECD’s Inclusive Framework on BEPS

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OECD: International Tax Cooperation to Regulate Globalisation

February 05, 2021

On 1 February 2021 the OECD Secretary General published a blog post entitled A Turning Point for Tax: International co-operation for better regulation of globalisation. The note is based on the speech given by the Secretary General at the opening

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OECD: Public Consultation on minimum standard under BEPS Action 14

February 02, 2021

On 1 February 2021 a virtual public consultation meeting was held as part of the review of BEPS Action 14 on improving tax dispute resolution mechanisms. This follows the publication of a consultation document in November 2020 and the publication

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OECD: Meeting of the Inclusive Framework on BEPS

January 31, 2021

The 11th plenary meeting of the OECD/G20 Inclusive Framework on base erosion and profit shifting (BEPS) was held on 27 and 28 January 2021 as a virtual meeting. The countries involved in the Inclusive Framework are working towards implementation of

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Platform for Collaboration on Tax: Toolkit on Implementing Transfer Pricing Documentation Requirements

January 22, 2021

On 19 January 2021 the Platform for Collaboration on Tax (PCT) published the “Practical Toolkit to Support the Successful Implementation by Developing Countries of Effective Transfer Pricing Documentation Requirements”. The PCT was set up by

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OECD: Public Consultation on Tax Challenges of the Digital Economy

January 17, 2021

A public consultation meeting was held by the OECD on 14 and 15 January 2021 to discuss the proposals in relation to Pillar One and Pillar Two of the tax challenges of the digital economy. Following the publication of Blueprints on Pillar One and

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OECD publishes public comments on proposals on taxation of the digital economy

December 23, 2020

On 16 December 2020 the OECD published comments received on the Blueprints outlining the remaining issues involved in finalising the work on Pillar One and Pillar Two of the proposals on tax challenges arising from the digitalisation of the

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OECD: Update on Peer Reviews of Harmful Tax Practices

November 28, 2020

On 23 November 2020 the OECD published an update on its work in relation to harmful tax practices. Harmful tax practices are highly favourable tax rulings or preferential tax rules or regimes intended to attract foreign income, potentially

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Ukraine: MOF develops a regulatory framework for the execution of the BEPS

October 24, 2020

On 20 October 2020, the Ukrainian Ministry of Finance (MOF) has issued a press release regarding Implementation of the Law No 466 in Part of the BEPS Plan. MOF stated that they will approve all necessary regulations on the implementation of the

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OECD: Batch of Peer Review Reports on Dispute Resolution Mechanisms

October 22, 2020

On 22 October 2020 the OECD released a further batch of stage 2 peer review reports on tax dispute resolution mechanisms under BEPS Action 14. The minimum standard under BEPS action 14 is concerned with improving tax dispute resolution

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OECD: Economic Impact of Pillar One and Pillar Two

October 20, 2020

At a presentation on 12 October 2020 introducing Blueprint reports on Pillar 1 and Pillar 2 of the proposals on taxation of the digital economy, the OECD presented an economic impact analysis of the proposals. Pillar One Pillar One would

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OECD: Report on Blueprint for Pillar Two of Digital Economy Taxation

October 13, 2020

On 12 October 2020 the OECD introduced a report on the Pillar Two Blueprint on digital economy taxation. Pillar Two aims to ensure that large multinational enterprises pay a minimum level of tax regardless of the location of their headquarters

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OECD: Report on Pillar One Blueprint on Digital Economy Taxation

October 12, 2020

On 12 October 2020 the OECD introduced a report on the Pillar One Blueprint on digital economy taxation. Pillar One consists of a new taxing right for market jurisdictions over a share of residual profit calculated at an MNE group or segment

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