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Countering Harmful Tax Practices More Effectively, Taking into Account Transparency and Substance, Action 5 - 2015 Final Report / Organisation for Economic Co-operation and Development
- Format:
- Book
- Government document
- Author/Creator:
- Organisation for Economic Co-operation and Development.
- Series:
- OECD/G20 Base Erosion and Profit Shifting Project, 23132612.
- Language:
- English
- Subjects (All):
- Taxation.
- Local Subjects:
- Taxation.
- Genre:
- Treaties
- Physical Description:
- 1 online resource (80 p. )
- Place of Publication:
- Paris : OECD Publishing, 2015.
- Summary:
- Preferential regimes continue to be a key pressure area. Current concerns are primarily about preferential regimes which can be used for artificial profit shifting and about a lack of transparency in connection with certain rulings. The report sets out an agreed methodology to assess whether there is substantial activity. In the context of IP regimes such as patent boxes, agreement was reached on the “nexus approach” which uses expenditures as a proxy for substantial activity and ensures that taxpayers can only benefit from IP regimes where they engaged in research and development and incurred actual expenditures on such activities. The same principle can also be applied to other preferential regimes so that such regimes are found to require substantial activity where the taxpayer undertook the core income generating activities. In the area of transparency, a framework has been agreed for the compulsory spontaneous exchange of information on rulings that could give rise to BEPS concerns in the absence of such exchange. The results of the application of the existing factors applied by the FHTP, and the elaborated substantial activity and transparency factors, to a number of preferential regimes are included in this report.
- Contents:
- Chapter 1. Introduction and background Chapter 2. Overview of the OECD’s work on harmful tax practices Chapter 3. Framework under the 1998 Report for determining whether a regime is a harmful preferential regime Chapter 4. Revamp of the work on harmful tax practices: Substantial activity requirement Chapter 5. Revamp of the work on harmful tax practices: Framework for improving transparency in relation to rulings Chapter 6. Review of OECD and associate country regimes Chapter 7. Further work of the FHTP Annex A. Example of a transitional measure for tracking and tracing Annex B. Spontaneous exchange on taxpayer-specific rulings under the framework Annex C. Template and instruction sheet for information exchange
- ISBN:
- 9789264241190
- 9264241191
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