TaxSource Total

Here you can access summary of the key current tax developments in Ireland, the UK and internationally as reported by Chartered Accountants Ireland

The report of key tax developments are displayed per year, per month, by Ireland, the UK or International and by report title

Final package of BEPS measures from OECD

The OECD released the final package of measures for reform of the international tax rules for multinational companies last month. Some 13 reports cover a range of multinational corporation tax issues, including Permanent Establishment, Mandatory Disclosure, Country by Country Reporting, Transfer Pricing and Controlled Foreign Companies. The totality has become known as BEPS – Base Erosion and Profit Shifting.

The BEPS measures can be classified under three headings. Minimum Standards require countries to change their domestic legislation or approach to double taxation agreements and transfer pricing rules as required. Best Practices are strong endorsements of particular approaches to tax law and practice, desirable but not mandatory. Common Approaches fall somewhere in between.

While BEPS sets out to tackle profit shifting, it is also about tax shifting. On a high level initial analysis, many of the BEPS rules won’t alter the amount of tax paid by a multinational, but they will change where the tax is paid. Generally it looks like larger economies will win out over smaller economies. Ireland could benefit from some of the measures, but overall the Foreign Direct Investment package of tax measures will in the future be more difficult to construct and sustain.

Because all the proposals are the outcome of negotiations over a two year period among OECD Member States (including Ireland) along with some other countries, the expectation is that the various proposals under the Minimum Standards classification will be adopted.

Country by Country reporting proposal, whereby larger multinationals will have to make comprehensive country by country reports on their activities, feature in Finance Bill 2015 (see here). The new Knowledge Development Box promised in last year’s Budget, which is a special tax incentive for companies developing and using high tech methods for new products, will be put into law in a “BEPS compliant” way.

It is possible that the EU Commission will introduce a directive to mandate the 28 EU Member states to implement some of the BEPS proposals at least in their domestic law.

G20 finance ministers expressed their support for the final package of BEPS measures and expressed a commitment for a rapid, widespread and consistent implementation of the these measures. At a meeting of G20 finance ministers, held in Lima, Peru last month, ministers commented on the need for the OECD to prepare a monitoring framework by early 2016. Ministers agreed to forward the BEPS measures for discussion and action by the G20 heads of state during their summit in mid-November in Turkey.