OECD: 2017 edition of the Model Tax Convention released

19 December, 2017

On 18 December 2017 the OECD released the 2017 edition of the Model Tax Convention. This edition incorporates measures outlined in the final reports from the action plan on base erosion and profit shifting. The new edition reflects work on BEPS

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OECD: second round of peer reviews on tax dispute resolution mechanisms

18 December, 2017

On 15 December 2017 the OECD issued the second round of analyses of individual country measures on improving dispute resolution mechanisms. This second batch consists of seven peer review reports and represents more stage 1 evaluations of the

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New Zealand: A tax bill to counter tax avoidance introduces into Parliament

18 December, 2017

On 6 December 2017, a tax bill to counter tax avoidance has been introduced into New Zealand’s Parliament by multinational companies and Minister of Revenue also published its commentary on the bill. Most provisions would enter into effect July

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OECD: Peer reviews of exchange of information on tax rulings

14 December, 2017

On 4 December 2017 the OECD released the first analysis of progress by individual countries on the spontaneous exchange of information on tax rulings. This was one of the recommendations of the final report on action 5 of the project on base erosion

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OECD: Further Guidance on CbC Reporting

05 December, 2017

On 30 November 2017 the Inclusive Framework released further guidance for tax administrations and multinationals in relation to the implementation of Country-by-Country (CbC) Reporting under Action 13 of the action plan on base erosion and profit

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OECD: MAP Statistics for 2016

03 December, 2017

Action 14 of the action plan on base erosion and profit shifting (BEPS) was concerned with improving the effectiveness and timeliness of dispute resolution mechanisms. The minimum standard under action 14 requires jurisdictions to try to resolve

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Singapore: OECD concludes tax incentives meet international BEPS standards

16 November, 2017

Singapore is an "associated" jurisdiction under the BEPS (Base Erosion and Profit Shifting) project.  Singapore’s available tax incentives were reviewed by the Forum on Harmful Tax Practices and found to be “not harmful” under the peer review

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Thailand: OECD concludes Thai incentives as harmful tax practices

10 November, 2017

The Thai government upon joining the base erosion and profit shifting (BEPS) inclusive framework, agreed to implement certain minimum standards under Action 5 (harmful tax practices). Part of the minimum standard under Action 5 relates preferential

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Oman joins the inclusive framework on BEPS

07 November, 2017

On 20 October 2017, the Sultanate of Oman has become the 103rd jurisdiction to join the inclusive framework on Base Erosion and Profit Shifting (BEPS). Members of the inclusive framework have the opportunity to work together with other OECD and G20

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OECD: Comments published on tax challenges of digitalisation

27 October, 2017

On 27 October 2017 the OECD published comments received on the tax challenges of digitalization. A request for input had been published on 22 September 2017 inviting responses from interested parties with a deadline of 13 October 2017. Despite this

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OECD: Implementation guidance for VAT on cross-border sales

27 October, 2017

On 24 October 2017 the OECD issued new implementation guidance on collecting consumption taxes on cross-border sales. The document is entitled “Mechanisms for the Effective Collection of VAT/GST Where the Supplier is Not Located in the

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OECD: Report on peer reviews of preferential tax regimes

20 October, 2017

A report released by the OECD on 16 October 2017 noted that countries are dismantling or amending almost 100 preferential tax regimes as part of the implementation of standards under the project on base erosion and profit shifting (BEPS). The report

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OECD: Forum on Tax Administration meets to discuss tax priorities

29 September, 2017

The Forum on Tax Administration (FTA) discussed tax issues at its plenary meeting on 27 to 29 September 2017. The FTA includes the Tax Commissioners of fifty tax administrations covering industrialized and emerging economies including the OECD and

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OECD: Peer review reports on dispute resolution mechanisms

29 September, 2017

On 26 September 2017 the OECD released six peer review reports evaluating efforts to improve dispute resolution mechanisms. The reports relate to implementation of measures by Belgium, Canada, Netherlands, Switzerland, the UK and the US. A document

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OECD: Request for input on tax challenges of digital economy

26 September, 2017

On 22 September 2017 the OECD issued a request for input on work relating to the tax challenges of the digital economy. The OECD is requesting public comments on important issues relating to tax challenges raised by digitalization and potential

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OECD: Appropriate use of information in CbC reports

08 September, 2017

On 6 September 2017 the OECD released guidance in relation to the appropriate use of information in Country by Country (CbC) reports exchanged under action 13 of the project on base erosion and profit shifting (BEPS). This includes guidance on the

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OECD: Further guidance on CbC reports

08 September, 2017

Further guidance has been issued by the OECD's Inclusive Framework on BEPS in relation to the implementation and operation of Country-by-Country (CbC) reporting under Action 13 of the project on base erosion and profit shifting (BEPS). This latest

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Taiwan: MOF publishes draft amendment to transfer pricing guidelines

26 August, 2017

The Tax Administration of the Ministry of Finance (MOF) has published a draft amendment to the  transfer pricing guidelines for public consultation on 27th July 2017. According to the draft regulations, the Master File should include an overview of

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