Unfortunately, this OECD public consultation may not be as popular as the numerous public discussion drafts on transfer pricing documentation rules or PE issues…
From the OECD website:
“The G20’s Development Working Group (DWG) has invited four International Organisations (IMF, OECD, UN and World Bank) to write a report on options for low income countries’ effective and efficient use of tax incentives for investment. The underlying concern of the DWG is that low income countries often face acute pressures to attract investment by offering tax incentives, which then erode the countries’ tax bases with little demonstrable benefit in terms of increased investment. The International Organisations are asked to use their shared expertise—based on many years of country interactions and analysis—to assist low income countries in making better use of tax incentives.
Drawing on recent country experiences and an extensive range of academic and other studies, the report aims to take a fresh look at tax incentive policies in low income countries. The aim is to develop principles for the design and governance of tax incentives and to provide guidance on good practices in these areas. Since much of the pressure to offer incentives stems from an awareness of those offered by other countries, the report also discusses options for international coordination to address the risk of mutually damaging spillovers from such tax competition. Finally, a separate background document reviews practical tools and models that can help assess the costs and benefits of tax incentives, which is essential to enhance transparency and support informed decision making.
CALL FOR COMMENTS
We are soliciting your comments and feedback on the draft Options Paper below. We would also be interested in further case studies in low income (or other) countries and systematic evidence. The OECD team will review all submitted comments and share them with the other International Organisations collaborating. When subMitting your comments, please include the following information so that your comments are registered: name of sender; organisation you represent; address; country; phone number; and e-mail address. Senders may request that their comments remain confidential.
Please send comments to: TaxandDevelopment@oecd.org. Input should be submitted no later than 5 August 2015.”
Robert Robillard, Ph.D., CPA, CGA, MBA, M.Sc. Econ.
DRTP Consulting Inc. solutions go beyond transfer pricing and international tax solutions. The information in this blog post is general information only. Data and information come from sources believed to be reliable but complete accuracy cannot be guaranteed. DRTP Consulting Inc. or the author are not responsible or liable for any error, omission or inaccuracy in such information. The opinions expressed in this blogpost are those of the author. Readers should seek advice and counsel from DRTP Consulting Inc. as required.
- Posted by Robert Robillard
- On 24 July 2015
- 0 Comments
- Base Erosion and Profit Shifting (BEPS), BEPS, Tax Incentives for Investment