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

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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

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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

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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

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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

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OECD and Egypt launch programme on implementation of BEPS standards

10 March, 2018

On 7 March 2018 the OECD and Egypt’s Ministry of Finance launched a programme entitled Enhancing domestic resource mobilisation in Egypt through a better tax and exchange of information system. The programme involves funding from the EU to support

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Italy: Draft transfer pricing regulations and corresponding adjustments

04 March, 2018

On February 21, 2018 the Italian Ministry of Economy and Finance released its draft transfer pricing rules to comply with the Article 8-10 OECD/G20 Base Erosion and Profit Shifting (BEPS) project. The draft rules are declared in their website for

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OECD: Project to examine differences between Brazil’s transfer pricing rules and the Guidelines

02 March, 2018

On 28 February 2018 the OECD and Brazil began a joint project to examine the similarities and gaps in approaches to valuation of cross-border transactions. The project aims to produce an assessment of possibilities to bring the transfer pricing

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Lithuania: Parliament issues a draft bill for the ratification of the BEPS MLI

27 February, 2018

On 2 February 2018, the Lithuanian Parliament issued a draft bill for the ratification of the MLI (the Multilateral Convention to Implement Tax Treaty Related Measures) to Prevent Base Erosion and Profit Shifting. Lithuania submitted its MLI

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Canada: MLI ratification process begins

25 February, 2018

The Parliamentary Secretary on behalf of the Minister of Foreign Affairs, Matt DeCourcey, had presented the OECD Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting (MLI) on January 31, 2018,

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Czech Republic: Cabinet approves ratification of BEPS MLI

20 February, 2018

The Cabinet of Czech Republic on February 14, 2018, approved ratification of the Multilateral Instrument (MLI) to implement into bilateral tax treaties the tax treaty-related measures arising from the OECD / G20 BEPS Project to tackle base erosion

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Platform for Collaboration on Tax: Closing Statement of Conference on Tax and SDGs

17 February, 2018

On 16 February 2018 the Platform for Collaboration on Tax (PCT) released the closing statement following its conference on taxation and the sustainable development goals (SDGs). The PCT was set up by the IMF, OECD, UN and World Bank at the request

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India: Budget introduces the digital permanent establishment rule

06 February, 2018

On 1 February 2018, the Finance Minister has released India’s 2018-19 budget and finance bill. The 2018 budget proposed to amend the definition of a permanent establishment for the taxation of non-resident digital companies operating in India.

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India: Union Budget introduces the digital permanent establishment rule

06 February, 2018

On 1 February 2018, the Finance Minister has released India’s 2018-19 budget and finance bill. The budget proposes to update the definition of a permanent establishment (PE) to tax non-resident digital firms operating in India. According to the

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Malaysia signs the BEPS multilateral instrument

29 January, 2018

On 24 January 2018, Malaysia signed the OECD Multilateral Convention to implement tax treaty related measures to prevent Base Erosion and Profit Shifting (“Multilateral Instrument” or “MLI”). At the beginning of 2017, Malaysia announced its

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OECD: Comments received on discussion draft on mandatory disclosure of CRS avoidance arrangements

28 January, 2018

On 18 January 2018 the OECD published comments received in relation to new tax rules on the disclosure of common reporting standard (CRS) avoidance arrangements and offshore structures. This follows the issue of a consultation document on the

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OECD: International Compliance Assurance Programme

26 January, 2018

On 23 January 2018 a pilot program was launched in relation to multilateral risk assessment of large multinational groups. The program known as the International Compliance Assurance Programme (ICAP) is a the pilot for a voluntary programme to use

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Hong Kong: BEPS Legislation working on strengthening transfer pricing enforcement regime

24 January, 2018

Hong Kong Government proposes a bill, passed on 29th December 2017, with the goals to bring in the transfer pricing principles into a system and to execute the minimum standards released to tackle Base Erosion and Profit Shifting in Hong Kong. The

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