OECD: Tax Talk discusses progress on key tax issues

20 October, 2018

An OECD Tax Talk on 16 October 2018 discussed the latest developments on tax issues. Tax Challenges of Digitalisation In March 2018 the Task Force on the Digital Economy (TFDE) sent an interim report to the G20 on the tax challenges of

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OECD: CRS avoidance through residence and citizenship by investment schemes

20 October, 2018

On 16 October 2018 the OECD has published the results of its analysis of over 100 schemes for citizenship by investment and residence by investment (CBI/RBI) offered by jurisdictions that are committed to the common reporting standard (CRS). These

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OECD: Policy Note on Tax and Digitalisation

20 October, 2018

On 19 October 2018 the OECD issued a policy note on tax and digitalization. The policy note looks at the challenges to tax systems arising from the digital economy and the opportunities and risks presented. A review of the international tax rules to

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OECD and IGF release practice notes on BEPS risks in mining

20 October, 2018

On 19 October 2018 the OECD announced that a first set of practice notes for developing countries on BEPS risks in the mining sector have been finalized. The practice notes have been developed by the OECD’s Centre for Tax Policy and

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EU: Progress on tax on digital companies

14 October, 2018

The head of tax for the European Commission has said in an interview on 10 October 2018 that details of a new tax on large technology companies could be agreed by the end of the year. Currently corporate income tax systems in the EU are based on

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EU: Tax Rulings Issued by Luxembourg were not State Aid

21 September, 2018

On 19 September 2018 the European Commission determined that the non-taxation of certain profits arising to McDonald's Europe Franchising in Luxembourg did not amount to illegal State aid. The Commission had investigated under EU State aid rules

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OECD: Inclusive Framework issues further guidance on CbC reporting

18 September, 2018

On 13 September 2018 the OECD’s Inclusive Framework released additional interpretative guidance in relation to Country-by-Country (CbC) reporting under Action 13 of the OECD/G20 report on base erosion and profit shifting (BEPS). More than 100

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OECD: Fourth round of peer review reports on tax dispute resolution mechanisms

31 August, 2018

On 30 August 2018 the OECD released a fourth batch of peer review reports in relation to BEPS action 14 on improving tax dispute resolution mechanisms. These stage 1 reports assess the efforts made by each of the countries to implement the minimum

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Hong Kong signs multilateral competent authority agreement on exchange of CbC reports

20 August, 2018

Hong Kong joined the multilateral competent authority agreement on the exchange of country-by-country reports (CbC MCAA). The CbC MCAA was signed by Hong Kong on 27 July 2018. The purpose of the CbC MCAA is to set forth rules and procedures as may

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Egypt reduces late payment interest, penalties and additional taxes if taxes are settled

18 August, 2018

On 15 August 2018, the Egyptian Government has issued new Law no. 174 of 2018 (the Law) that reduces late payment interest and penalties by a certain percentage based on the payment day of the taxes due. The law introduces 90% reduction on interest

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WTO: Momentum of World Trade Slowing in Third Quarter of 2018

10 August, 2018

The World Trade Organisation (WTO) issued its latest World Trade Outlook Indicator (WTOI) on 9 August 2018. This suggests that trade growth will be easing in the coming months, with a WTOI reading of 100.3 which is below the previous value of 101.8

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WTO Issues World Trade Statistical Review 2018

09 August, 2018

On 31 July 2018 the World Trade Organisation (WTO) issued its World Trade Statistical Review 2018. This looks at developments in world trade and analyses trade in goods and services. The review shows that in 2017 there was stronger growth in world

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Ukraine signs MLI to implement tax treaty related BEPS measures

30 July, 2018

On 23rd July 2018, Ukrainian Acting Finance Minister Oksana Markarova signed the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting. The minister expressed that the signing of the MLI makes

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G20 Finance Ministers issue communiqué

25 July, 2018

Following their meeting of 19 and 20 2018 the G20 Finance Ministers issued a communiqué covering the topics discussed. Issues affecting international tax are summarized below: Technology The communiqué notes that the benefits of technological

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OECD: Inclusive Framework Issues Progress Report

24 July, 2018

The OECD’s Inclusive Framework on base erosion and profit shifting (BEPS) has issued a progress report of its activities in the year to June 2018. The report indicates that significant developments have taken place in BEPS implementation during

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OECD: Report on Improving Tax Certainty Prepared for G20 Finance Ministers

23 July, 2018

On 23 July 2018 the OECD released a report on approaches to improving tax certainty, prepared for the G20 Finance Ministers who met on 19 and 20 July 2018. The report focuses first on developments in the OECD and G20 countries such as the

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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

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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

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