Public comments are invited on a discussion draft on the Tax Challenges of the Digital Economy.
In July 2013, the OECD published its Action Plan on Base Erosion and Profit Shifting. The Action Plan identifies 15 actions to address BEPS in a comprehensive manner and sets deadlines to implement these actions. Action 1 reads as follows:
 
Action 1
 
Address the tax challenges of the digital economy
 
Identify the main difficulties that the digital economy poses for the application of existing international tax rules and develop detailed options to address these difficulties, taking a holistic approach and considering both direct and indirect taxation. Issues to be examined include, but are not limited to, the ability of a company to have a significant digital presence in the economy of another country without being liable to taxation due to the lack of nexus under current international rules, the attribution of value created from the generation of marketable location-relevant data through the use of digital products and services, the characterisation of income derived from new business models, the application of related source rules, and how to ensure the effective collection of VAT/GST with respect to the cross-border supply of digital goods and services. Such work will require a thorough analysis of the various business models in this sector.
 
The Action Plan also provided that "[t]he OECD's work on the different items of the Action Plan will continue to include a transparent and inclusive consultation process" and that all stakeholders such as business (in particular BIAC), non-governmental organisations, think tanks, and academia would be consulted.
 
As part of that consultation process, interested parties are invited to send comments on this discussion draft, which includes the preliminary results of the work carried out in relation to Action 1 of the BEPS Action Plan.
 
Comments on this discussion draft should be submitted electronically (in Word format) before 5.00pm on 14 April (no extension will be granted) to [email protected].
 
It is the policy of the OECD to publish all responses (including the names of responders) on the OECD website.
 
Please note that the draft proposals set out in this document do not represent the consensus views of either the Committee on Fiscal Affairs or its subsidiary bodies but rather are intended to provide stakeholders with substantive proposals for analysis and comment.
 

Bron: OECD

Informatiesoort: Nieuws

Rubriek: Internationaal belastingrecht

H&I: Actualiteiten

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