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OECD DEVELOPMENTS Dali Bouzoraa IBFD

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Title: OECD DEVELOPMENTS Dali Bouzoraa IBFD


1
OECD DEVELOPMENTSDali BouzoraaIBFD
  • 3rd Asia/Africa IFA ConferenceMauritius, 14-15
    May 2009

2
OECD DEVELOPMENTS
  • 2008 MC AND COMMENTARY
  • ATTRIBUTION OF PROFITS TO PEs
  • POEM
  • NON-DISCRIMINATION
  • EMERGING ISSUES
  • BUSINESS RESTRUCTURING
  • TAX INTERMEDIARIES
  • CIV
  • EFFECTIVE EXCHANGE OF INFORMATION
  • .

3
ATTRIBUTION OF PROFITS TO PEs
  • REPORT ON ATTRIBUTION OF PROFITS TO PES
  • EXTENSIVE PUBLIC DEBATE
  • AOA (FUNCTIONALLY SEPARATE ENTITY APPROACH)
    INCORPORATED IN COMMENTARY IN 2008 RELEASE
  • NEW DRAFT VERSION OF ART. 7 PROPOSED
  • PUBLIC COMMENTS PUBLISHED JANUARY 09

4
ATTRIBUTION OF PROFITS TO PEs
  • FACTUAL ANALYSIS
  • FUNCTIONS (SPF or KERT)
  • RISKS
  • ASSETS
  • BASED ON ABOVE ATTRIBUTION OF FREE CAPITAL
  • APPLICATION OF OECD TP GUIDELINES BY ANALOGY

5
POEM
  • REMOVAL OF 2000 ADDITION SUGGESTING CENTRAL
    MANAGEMENT AND CONTROL
  • REPLACE DUAL RESIDENCE TIE-BREAKER BY COMPETENT
    AUTHORITY PROCEDURE
  • IN THE ABSENCE OF AGREEMENT, IN PRINCIPLE NO
    RELIEF UNDER THE CONVENTION (but information on
    the persons may be exchanged)

6
NON-DISCRIMINATION
  • OBJECTIVE CONTAINING THE ECJ INFLUENZA
  • ANALYSIS LIST ALL WHAT ECJ DID
  • SOLUTION REVERSE ALL WHAT ECJ DID

7
NON-DISCRIMINATION
  • NO MFN
  • NO BETTER TREATMENT THAN DOMESTIC ENTERPRISES
  • NO EXTENSION OF DOMESTIC RULES (CONSOLIDATION
    TRANSFER OF LOSSES, ETC..)

8
BUSINESS RESTRUCTURING
  • CROSS-BORDER REDEPLOYMENT OF FUNCTIONS, ASSETS
    AND/OR RISKS
  • e.g. FULLY-FLEDGED MANUFACTURER TO
    TOLL/CONTRACT MANUFACTURER
  • IMPACT ON PROFIT AND LOSS POTENTIAL IN COUNTRIES
    INVOLVED
  • REPORT SUBMITTED FOR PUBLIC COMMENT IN SEPT. 08.
    SUBSTANTIAL COMMENTS DELIVERED.

9
BUSINESS RESTRUCTURING
  • RISK BORNE BY ENTITY CONTROLLING RISK
  • (ECONOMIC SUBSTANCE OR SPF?)
  • COMPENSATION ONLY IF ASSETS ARE TRANSFERRED
  • POTENTIAL FUTURE PL NOT AN ASSET (but carried by
    assets/rights)
  • APPLICATION OF ALP TO POST-RESTRUCTURING
    ARRANGEMENTS
  • TA MAY DISREGARD TRANSACTION EXCEPTIONALLY

10
TAX INTERMEDIARIES
  • INVOLVING TAX INTERMEDIARIES IN VOLUNTARY
    COMPLIANCE
  • TWO REPORTS
  • LARGE CORPORATE SEGMENT
  • HNWI
  • CARROT AND STICK APPROACH
  • DISCLOSURE OF TAX MINIMIZATION STRATEGIES
  • CONSIDERATE AFFECTION OF TAX AUTHORITIES

11
CIV
  • INFORMAL CONSULTATIVE GROUP FORMED IN 2006
  • CONSIDER LEGAL ISSUES AFFECTING ABILITY OF CIVs
    AND OTHER PORTFOLIO INVESTORS TO CLAIM TREATY
    BENEFITS
  • TWO REPORTS RELEASED IN JANUARY 09
  • GRANTING OF TREATY BENEFITS WITH RESPECT TO
    THE INCOME OF CIVs
  • POSSIBLE IMPROVEMENTS TO PROCEDURES FOR TAX
    RELIEF FOR CROSS-BORDER INVESTORS

12
CIV
  • RECOMMENDATIONS
  • EXISTING TREATIES
  • IF NOT SPECIFICALLY ADDRESSED THEN
    LOOK-THROUGH. ALLOW CIV TO LODGE CLAIMS ON
    BEHALF OF INVESTORS
  • FUTURE TREATIES
  • TT SHOULD ADDRESS CIVs SPECIFICALLY
  • RESIDENCE IN OWN RIGHT PREFERRED (ADD OPTIONAL
    LANGUAGE TO COMMENTARY ON ART. 1 MC)
  • PROCEDURES ALLOW POOLED CLAIMS - QI
  • EU DEVELOPMENTS

13
EFFECTIVE EXCHANGE OF INFORMATION
  • HISTORICAL OVERVIEW
  • VARIOUS INSTRUMENTS
  • (DTT, MUTUAL ASSISTANCE AGREEMENTS, EU MAD,
    COUNCIL OF EUROPE/OECD CONVENTION, NORDIC
    CONVENTION)
  • MANY IMPEDIMENTS
  • TREATY NETWORK
  • SCOPE OF COVERAGE (PRE-2000 MC)
  • NATIONAL LAWS ADMINISTRATIVE PRACTICE
  • TAXPAYER PROTECTION

14
EFFECTIVE EXCHANGE OF INFORMATION
  • THE EVOLUTION
  • TAX INFORMATION EXCHANGE DEEMED INEFFECTIVE
  • OECD PUBLISHES 1998 REPORT ON HARMFUL TAX
    COMPETITION
  • REPORT IDENTIFIES LACK OF EFFECTIVE EXCHANGE OF
    INFORMATION AS ONE OF KEY DETERMINANTS FOR
    HARMFUL TAX PRACTICES
  • OECD PERCEIVED TO PURSUE TAX HARMONIZATION BY
    FOCUSING ON RING-FENCING AND TAX RATES
  • FIRST BUSH ADMINISTRATION SHIFTS FOCUS ON
    EXCHANGE OF INFORMATION AND TRANSPARENCY

15
EFFECTIVE EXCHANGE OF INFORMATION
  • THE EVOLUTION
  • OECD PUBLISHES 2000 REPORT ON IMPROVING ACCESS TO
    BANK INFORMATION FOR TAX PURPOSES
  • OECD RELEASES FIRST LIST OF UNCOOPERATIVE
    JURISDICTIONS (2002)
  • OECD RELEASES MODEL AGREEMENT ON EXCHANGE OF
    INFORMATION ON TAX MATTERS (2002)
  • OECD REVISES ART. 26 MC (2005)
  • FINANCIAL AND ECONOMIC CRISIS SKY FALLS ON TAX
    HAVENS

16
EFFECTIVE EXCHANGE OF INFORMATION
  • NOVELTIES OF AGREEMENT / NEW ART. 26
  • FORSEEABLY RELEVANT
  • EVEN IF NOT NEEDED FOR OWN TAXATION PURPOSES
  • INCLUDING OWNERSHIP INFORMATION AND INFORMATION
    HELD BY BANKS AND PERSONS ACTING IN FIDICIUARY
    CAPACITY
  • REQUESTED STATE TO USE ALL NECESSARY INFORMATION
    GATHERING MEASURES
  • RIGHTS AND SAFEGUARDS SECURED TO PERSONS TO BE
    RESPECTED TO THE EXTENT THEY DO NOT UNDULY
    PREVENT OR DELAY EFFECTIVE EXCHANGE OF
    INFORMATION

17
EFFECTIVE EXCHANGE OF INFORMATION
  • TYPES OF EXCHANGE
  • EXCHANGE UPON REQUEST
  • AUTOMATIC EXCHANGE
  • SPONTANEOUS EXCHANGE
  • TAX EXAMINATIONS ABROAD (SIMPLE PRESENCE)
  • ACTIVE TAX EXAMINATION ABROAD
  • INDUSTRY-WIDE EXCHANGE
  • 20002 AGREEMENT 1 4 5
  • NEW ART. 26 1 2 3 (BUT REST NOT EXCLUDED)

18
  • THANK YOU
  • D.Bouzoraa_at_ibfd.org
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