The BMG has made a submission to the UN Committee of Tax Experts on the proposal, supported by its members from developing countries, to clarify that article 12 on Royalties in the UN model convention includes payments for the use of software.
September 2020
Read MoreWe welcome the Committee’s decision to work independently on the tax consequences of digitalisation, and support the proposal of one of its members to give priority to developing a new definition of taxable nexus for automated digital services. To cover services more generally, it should also review provisions of the UN model tax treaty on taxation of income from services and related aspects of attribution of profits.
Read MoreWe have made a submission to the consultation by the OECD on behalf of the Inclusive Framework for BEPS, for its review of the system of Country by Country Reporting (CbCR).
While we welcome the establishment of the system, we note that very few developing countries have yet received any reports, and are concerned that instead of being an effective transparency measure it is being used to discipline how countries apply their own tax rules. It’s now time to require publication of CbCRs, which do not contain commercially confidential information, and improvements to the template should not change this. Key improvements include revision of the definition of a Constituent Entity to include all activities that may create taxable presence, and clarification that tax paid should refer to the country that receives the tax.
Read MoreWe have made this submission to the OECD on the consultation for a global minimum tax, proposing a design based on a formulaic substance rule, which would be much easier to administer than the current proposal.
Read MoreWe have submitted these comments on the draft Toolkit prepared by the Platform for Collaboration on Tax to support the successful implementation by developing countries of effective Transfer Pricing Documentation requirements.
Read MoreSummary
We welcome the attempt in these proposals to address the mandate of the G20 leaders for the BEPS project, to devise rules that can ensure that multinational enterprises (MNEs) pay tax in line with their activities in each country.
Read MoreNegotiations in the BEPS project are now reaching a crucial stage, with an intensification of work to revise the basic principles of international tax. This report aims to analyse the various proposals involved, putting forward our own suggestions, and also to explore some unilateral measures that may be considered by developing countries.
Read MoreWe have submitted comments, available here, to the OECD on a document issued for public consultation on this subject.
We are surprised that this draft ignores the issue of tax fairness, which is central to tax morale. We also consider it inappropriate to include the data from an earlier survey of business attitudes towards tax certainty, and suggest other sources of evidence about business motivations towards paying tax would be more appropriate.
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