Heads of tax administration prioritise collaboration on the implementation of the Two-Pillar Solution, digital transformation and capacity building

The OECD's Forum on Tax Administration (FTA) held its 14th Plenary meeting on 16-17 December 2021, bringing together tax commissioners from across the globe as well as representatives from international organisations and regional tax administration bodies. Participants discussed top-of-mind tax administration issues including the implementation of the landmark Two-Pillar Solution, lessons learned from the ongoing responses to the global COVID-19 pandemic, digital transformation and capacity building. This has been announced on 17 December ...

New mutual agreement procedure statistics on the resolution of international tax disputes released on OECD Tax Certainty Day

As part of the BEPS Action 14 minimum standard and the wider G20/OECD tax certainty agenda to improve the effectiveness and timeliness of tax-related dispute resolution mechanisms, the OECD released the latest mutual agreement procedure (MAP) statistics covering 118 jurisdictions and practically all MAP cases worldwide. This has been announced on Tuesday 22 November 2021 with a news release on the website of the OECD. Furthermore from the news release: ...

OECD secretariat invites public input on the 2020 Review of BEPS Action 14

As part of the ongoing work of the OECD/G20 Inclusive Framework on BEPS (Inclusive Framework), the OECD secretariat is seeking public comments on the 2020 review of BEPS Action 14. This was announced by the OECD in a press release dated 18 November 2020. Furthermore from the press release: Background In October 2015 the final report on Action 14 Making Dispute Resolution Mechanisms More Effective was published, containing a minimum standard (the ...

OECD releases 2019 MAP statistics and calls for stakeholder input on the BEPS Action 14 review on Tax Certainty Day

As part of the BEPS Action 14 minimum standard and the wider G20/OECD tax certainty agenda to improve the effectiveness and timeliness of tax-related dispute resolution mechanisms, the OECD released on 18 November 2020 the latest mutual agreement procedure (MAP) statistics covering 105 jurisdictions and almost all MAP cases worldwide. This was announced by the OECD in a press release dated 18 November 2020. Furthermore from the press release: The 2019 ...

G20: Global co-operation and strong policy action needed for a sustainable recovery

The COVID-19 crisis has exposed major weaknesses in our economies that can only be fixed through greater global co-operation and strong, targeted policy action, according to a new OECD report “New Horizons” presented to the Leaders of the G20 countries at their virtual Summit this weekend. This was announced by the OECD in a press release dated 22 November 2020. Furthermore from the press release: New Horizons, a report requested ...

OECD delivers on tackling harmful tax practices, as a further set of preferential tax regimes are dismantled or tightened (BEPS Action 5)

Jurisdictions continue making progress in countering harmful tax practices, as contemplated in the BEPS Action 5 Minimum Standard, with the OECD/G20 Inclusive Framework on BEPS now having approved the outcomes of the 2020 reviews by the OECD Forum on Harmful Tax Practices (FHTP). This was announced by the OECD in a press release dated 23 November 2020, which press release contains a hyperlink to a document “Harmful Tax Practices – Peer Review ...

Forum on Harmful Tax Practices: Qualifying activities regime in Curaçao in compliance with FHTP standards and considered not harmful

The OECD Forum on Harmful Tax Practices (FHTP) has published its BEPS Action 5 Update (as of November 2020) with the results of the 2020 peer reviews as established in the October 2020 meeting and has expressed that Aruba tax regimes now in line with the BEPS Action 5 Minimum Standard. This was announced by the OECD in a press release dated 23 November 2020, which press release contains a hyperlink ...

Forum on Harmful Tax Practices: Aruba regimes now in line with the BEPS Action 5 Minimum Standard

The OECD Forum on Harmful Tax Practices (FHTP) has published its BEPS Action 5 Update (as of November 2020) with the results of the 2020 peer reviews as established in the October 2020 meeting and has expressed that Aruba tax regimes now in line with the BEPS Action 5 Minimum Standard. This was announced by the OECD in a press release dated 23 November 2020, which press release contains a hyperlink ...

OECD Secretary-General Angel Gurría has reacted to recent statements and exchanges regarding the ongoing negotiations to address the tax challenges of the digitalisation of the economy

“Addressing the tax challenges arising from the digitalisation of the economy is long overdue,” said OECD Secretary-General Angel Gurría. “All members of the Inclusive Framework should remain engaged in the negotiation towards the goal of reaching a global solution by year end, drawing on all the technical work that has been done during the last three years, including throughout the COVID-19 crisis. Absent a multilateral solution, more countries will take ...