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Published byDoreen Stanley Modified over 9 years ago
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EBF Tax Conference Feb BEPS in the EU context – Policy and Regulatory elements Anti Tax Avoidance Package Tom Neale, Head of Unit, Direct Tax Policy and Cooperation, DG TAXUD
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Why? Fair and Effective Taxation Better Business Environment
- Ensure all companies pay tax where they make profits - Protect all MSs' tax bases evenly - Tackle external threats of base erosion Better Business Environment - Fairer competition for all businesses (EU and non-EU) - Prevent legal uncertainties and admin burdens - Avoid double taxation International Partnership - Promote international tax reforms (BEPS, Transparency) - Address problematic third countries
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Why now? Commission's strategic agenda for corporate tax reform:
proposals announced in 2015 Action Plan Quick action against tax avoidance, while CCCTB being prepared BEPS finalised: Smooth and swift implementation in EU needed Follow up 2015 European Parliament tax reports
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What's in ATAP Chapeau Communication
Anti-Tax Avoidance Directive Recommendation On Tax Treaties Revised Administrative Cooperation Directive Communication on External Strategy Staff Working Document Aggressive Tax Planning Study
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ATAP: Legislative ANTI TAX AVOIDANCE DIRECTIVE
CFC rule: To deter profit shifting to low/no tax countries Switchover: To prevent double non-taxation of certain income Exit Taxation: To prevent re-location of assets purely to avoid taxation Interest Limitation: To discourage artificial debt arrangements Hybrids: To stop national mismatches being used to avoid taxation GAAR: To counter-act aggressive tax planning in general REVISION OF ADMINISTRATIVE COOPERATION DIRECTIVE CbCR: To install country-by-country reporting between tax authorities
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ATAP: Non-Legislative
RECOMMENDATION ON AMENDING TAX TREATIES - Ensure implementation of new PE definition - Advice on how to revise tax treaties against abuse - Focus on how to do it in EU law compliant way EXTERNAL STRATEGY - Stronger EU approach to promoting tax good governance globally - New areas of partnership with third countries on tax matters - Action against external threats - EU blacklist
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Next steps 2016: EU Presidencies (NL, SK) take Package forward
Work on other BEPS actions ongoing (Patent Boxes, Transfer Pricing…) Mid 2016: Proposal on Dispute resolution mechanism Autumn 2016: CCCTB Re-launch
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