Platform For Collaboration On Tax Invites Final Comments On “Taxation of Offshore Indirect Transfers of Assets”

The Platform for Collaboration on Tax – a joint initiative of the IMF, OECD, UN and World Bank Group – has undertaken, at the request of the G20, the development of a series of “toolkit” reports to help guide developing countries in the implementation of policy options for issues in international taxation of greatest relevance to these countries. One such issue identified by developing countries themselves is the taxation of offshore indirect transfers of assets. Though an important area of international tax policy, no unifying principle has been adopted by individual countries on how to treat these transactions. This issue is, though, addressed in both main double taxation model treaties, of the OECD and the UN. Countries now follow very different approaches in their domestic law—and many treaties now in effect do not include the relevant model treaty provisions.

The Platform sought public feedback1 on a previous draft of this report, which was posted for comment from late summer through October of 2017. That draft generated huge interest —with 19 sets of detailed comments received from various groups, including country authorities, civil society organizations, and the private sector. These groups represented a much larger number of individual entities. Given the volume of thoughtful comments, and some of the concerns raised, the Platform partners spent considerable time digesting and responding to the comments in a new draft of the report, posted here with some new questions for consideration. Reactions are again sought, by 24 September 2018, from interested stakeholders.

Furthermore, a new ten-page document is also posted here (also available in French and Spanish), systematically detailing the comments received, identifying the parties who made them, and describing how the new draft responds to those comments. The authors have not agreed with or adjusted the text for every comment received—not least because in a number of cases different commenters took diametrically opposing views on quite fundamental issues. However, most comments have been addressed, and the new version attempts to clarify a number of issues which caused some confusion for many readers. We encourage readers to review this companion document before reading the new version of the report itself.

Pleas review entire sourced document attributed to the OECD.

 

 

 

TaxConnections Admin

TaxConnections is where you will find leading tax experts and resources worldwide. Please join us at: https://www.taxconnections.com/membership/sign_up

Subscribe to TaxConnections Blog

Enter your email address to subscribe to this blog and receive notifications of new posts by email.