Category: Tax Planning

Canadian documentary probes corporate tax-avoidance schemes

The Price We Pay argues that profit-shifting by corporations is undermining democracies A new Canadian documentary draws attention to the profit-shifting tactics used by multinationals to avoid billions of dollars of taxes. Directed by Montrealer Harold Crooks, the film The Price We Pay opens this Friday in Toronto and Montreal,… – Continue reading

Disparity between the US and Brazil’s approach to royalties increases risk of double taxation

TP Week As a result of Brazil’s unique policy to prevent erosion of the tax base, companies often face double taxation. The pending case before the US Tax Court (Docket 5816-13), 3M Co. et al. v. Commissioner, brings this issue into the spotlight. In this case the US Internal Revenue… – Continue reading

Recent Developments – Australian Transfer Pricing (TP) Rules: Time To Step Up

With the Australian Taxation Office’s (ATO) escalating focus on international profit shifting, it is essential for multinational taxpayers (MNEs) to properly understand the new Australian Transfer Pricing (TP) rules, assess the implications of these rules on their operations/transactions, what documentation they need to prepare and when, and what penalties may… – Continue reading

Public sector wages the main budget issue

OPPOSITION spokesman on finance and planning, Audley Shaw, believes that the failure of the Government to make any progress in wage-related discussions with its employees could make it the major challenge for 2015/16, as the budget debate commences this afternoon at Gordon House. “There is nothing in the budget which… – Continue reading

Transfer pricing customs duty refund applications – let’s do it right

The Canada Border Services Agency (CBSA) has informed the Canadian importing community that importers may be entitled to obtain customs duty refunds in connection with downward transfer pricing adjustments having the effect of correcting/reducing invoiced prices that served as the basis of customs valuation of imported goods. On January 19,… – Continue reading

Malta features in poker giant’s €300 million tax avoidance route

Rome police accuse PokerStars.it managing director over €300 million of undeclared monies that were traced to Malta and the Isle of Man The managing director of PokerStars in Italy, a leading online poker brand, has been accused of fraud and tax evasion of some €300 million by Rome’s finance police… – Continue reading

Will There Be An Increase In State Transfer Pricing Audits?

Transactions between related entities are common and engaged in for both business and tax purposes. Management fees, factoring fees, loans, and other intercompany transactions can be beneficial from a tax planning standpoint, provided the transactions are properly structured and supported by adequate documentation, which often includes a transfer pricing study…. – Continue reading

Anti-avoidance powers to hunt multinationals 'ineffective': ATO

The main legal weapon used by the tax office to hunt down multinationals trying to avoid paying tax often doesn’t work, a problem that could cost the federal government billions a year. A Tax Office internal document, Offshore hubs mitigation strategy overview, said that Australia’s general anti-avoidance rule, Part IVA,… – Continue reading

Seychelles: Seychelles Company – Corporate Environment Summary

Seychelles is one of the most popular offshore jurisdiction, with favourable business regulations, a prosperous economy and a stable political situation. Seychelles IBC, is a limited liability company which conducts its trading and business outside the Seychelles and is intended for offshore activities. It takes up to 2 days to… – Continue reading

Breaking: PokerStars’ Italian Subsidiary Under Investigation for Alleged Tax Evasion

According to Italy’s financial police, the Halfords Media Italy S.r.l., one of the companies used by PokerStars for marketing activities in the country, is currently under investigation for a €300 million tax fraud. Contacted by PokerNews, Head of Corporate Communication at PokerStars Eric Hollreiser said to be confident that the… – Continue reading

Here’s one budget proposal that may bring back Vodafone-like horrors for foreign cos

The Finance Bill 2015 (the Bill) has quietly slipped in an amendment that could engender a fresh set of disputes with foreign companies away from the hitherto transfer pricing hair-splitting. Hitherto, all Indian companies were residents and all foreign companies were non-resident, period. Of course foreign companies would have become… – Continue reading

Retrotax returns: $1.6 billion tax demand on Cairn is likely to be a Vodafone redux

There is a sense of déjà vu in tax and legal circles. Vodafone bought itself into Hutch’s Indian telecom operations by acquiring controlling interest in a Cayman Island company that called the shots in the Indian company hitherto controlled by Hutchison Hong Kong. The tax authorities slapped a notice on… – Continue reading

How India is striving to attract your company’s investment through transfer pricing measures

Following on from the Indian budget last month and various significant developments on the disputes scene, TPWeek thinks it is a good time to put together a Special Focus, bringing together its most recent reports. The Indian government is keen to promote a more investor-friendly environment in relation to corporate… – Continue reading

European Commission Official Joins U.N. and OECD Representatives as Keynote Speaker at Bloomberg BNA and Baker & McKenzie Global Transfer Pricing Conference in Paris

ARLINGTON, Virginia, March 10, 2015 /PRNewswire/ — Bloomberg BNA today announced an addition to its lineup of keynote speakers for the Global Transfer Pricing Conference: Paris, held in conjunction with Baker & McKenzie, on March 30-31 immediately after the Organisation for Economic Co-operation and Development (OECD) Global Forum on Transfer… – Continue reading

EAC told to weigh pros, cons of single income tax rates

East African member states have been advised to make critical assessment of single income tax rates. A law expert, Anatoly Nahayo said recently in Dar es Salaam after launching his book titled “East African Community Tax Harmonisation.” He said the move will ease allocation of capital shares within EAC member… – Continue reading

Revoking Bank Accords, SEC Broker Rule, EU Taxes: Compliance

(Bloomberg) — U.S. prosecutors investigating currency manipulation are considering revoking years-old settlements and prosecuting banks for rigging interest rates, according to people familiar with the matter. The Justice Department is weighing whether evidence of wrongdoing in currency trading means banks violated old deals resolving probes into the rigging of benchmark… – Continue reading

GUEST COLUMN: Protect your investments

Many business owners have substantial personal assets invested in their business. This can have significant implications, not only for you and your business, but also for your family’s financial security. To protect your investment, both business and personal, your business strategy should include carefully structured tax-planning components to ensure you… – Continue reading

BBC star Jeremy Vine made his ten-year-old daughter a company shareholder to help lower his tax bill by channelling funds through private firm

BBC’s Jeremy Vine appears to have used daughter to avoid tax payments Daughter Martha, aged 10, is shareholder in Jelly Vine Productions The presenter has been funnelling cash through the limited company Controversial move highlights BBC practice of paying some presenters off the books using money from millions in earns… – Continue reading

Diverted profits tax and real estate – development propert

Introduction In the autumn statement the Chancellor of the Exchequer announced the introduction of a new Diverted Profits Tax (DPT). Against the context of international co-operation in the OECD led consultation on ways to ensure profits are taxed where they are generated (the Base Erosion and Profit Shifting project (BEPS),… – Continue reading

Foreign takeovers see US losing tax revenue

Just months after the Obama administration cracked down on mergers that helped US companies skirt domestic taxes, a wave of foreign takeovers is steering more tax revenue away from the US, reports the Wall Street Journal. In deals known as “tax inversions,” which spiked in 2014, US companies acquired foreign… – Continue reading

China’s New General Anti-Avoidance Rules: An Overview

On December 2, 2014, the State Administration of Taxation (SAT), China’s highest tax authority, issued the Administrative Measures for the General Anti-Avoidance Rules (Trial) (GAAR), which went into effect on February 1, 2015. Prior to this legislation, China had no specific GAAR, only a few general anti-avoidance principles in various… – Continue reading

LAW & COMPLIANCE

NEW PACTS WITH AMSTERDAM AND TOKYO BOOST TRANSFER PRICING IN HONG KONG When combined with aggressive tax planning, Hong Kong’s onshore-offshore tax regime often results in a reduced tax burden for taxpayers that operate through Hong Kong companies by pricing intra-group transactions. The Advance Pricing Arrangement agreement with the Netherlands… – Continue reading

11 big profitable companies pay no tax

You’re probably figuring out how much you owe the tax man for 2014 about now. The answer for a handful of big profitable companies is zilch. There are 11 companies in the Standard & Poor’s 500, including tire maker Goodyear Tire & Rubber (GT), electronic component maker Eaton (ETN) and… – Continue reading

Tax competition could destroy EU

Fiscal competition between EU member states could lead to the disintegration of the European Union, the chairman of the European Parliamentary tax rulings committee has warned In a recent interview, French MEP Alain Lamassoure said that such an outcome would be “unacceptable”. “Fiscal competition can be healthy when it contributes… – Continue reading

How HMRC is tackling tax arrangements similar to Starbucks’

The Public Accounts Committee (PAC) met last month to ask HM Revenue & Customs (HMRC) about its efforts to curb tax avoidance, including how HMRC has developed its transfer pricing approach to counteract tax arrangements such as those by Google, Amazon and Starbucks. Present at the hearing on February 11,… – Continue reading

UHY Global Transfer Pricing Guide 2015 Now Available

The Global Transfer Pricing Guide is created to assist tax and finance professionals responsible for cross-border tax planning and compliance with their inquiries. Sterling Heights, Michigan (PRWEB) March 02, 2015 Global accountancy network UHY releases its 2015 “Global Transfer Pricing Guide” to assist tax and finance professionals responsible for cross-border… – Continue reading

Government silent on communal incidents, says Opposition in Rajya Sabha

NEW DELHI: Opposition today came down heavily on the government accusing it of remaining silent over cases of communal violence and failing on national security front and stopping transfer of public money to foreign telecom firms  Main opposition Congress party also charged the BJP-led dispenation with failing to make sufficient… – Continue reading

Chasing down multinational tax evaders

Bill Shorten, criticised for adopting a near invisible profile as Labor Leader, outlined a “policy brief” on Monday intended to tackle multinational tax avoidance and add nearly $2 billion to consolidated revenue over three years. The four-pronged approach includes changing the so-called thin-capitalisation rules allowing corporations to claim tax deductions… – Continue reading

Holes in transfer pricing

GUEST COLUMN- Dinesh Agarwal & Amit Poddar The Finance Act, 2012, had introduced the provisions for specified domestic transactions (SDT), extending the laws of transfer pricing to domestic transactions. One of the criteria for applicability of domestic transfer pricing was that the aggregate value of domestic transactions should be at… – Continue reading

GAAR to incorporate OECD initiative’s norms on tax avoidance

Government proposes to come out with a modified General Anti-Avoidance Rules by incorporating provisions of the OECD’s BEPS project so as to effectively deal with the problem of tax avoidance by MNCs. The BEPS initiative aims to ensure that taxes are paid where profits are made. Multinational companies use a… – Continue reading

A new milestone for taxation on Indirect Asset Transfer by Non-Resident Enterprises — a review of the past and present of bulletin 7

After several rounds of revisions and consultations in the past few years, the State Administration of Taxation (“SAT”) has recently promulgated the Bulletin on Several Issues concerning the Enterprise Income Tax (“EIT”) on Indirect Asset Transfer by Non-Resident Enterprises (“Bulletin 7”)[1]. Tax matters occurred but have not been settled before… – Continue reading

No wonder Nick Clegg has gone quiet on tax dodging: His wife’s paid by law firm that helps rich avoid tax and his father is chairman of bank with ties to tax haven

‘His failure to make more noise is odd’ says prominent tax QC His father, Nicholas, has worked for banks operating in tax havens Wife, Miriam Gonzalez Durantez’s, firm advertises ‘tax-planning services’ Lib Dems insist there is no conflict of interest involved in his position Not long ago, a law firm… – Continue reading

Set right the tax climate

As recommended by Tax Administration Reforms Commission (TARC) under Parthasarathi Shome, for taxation, the appellate functions must be housed separately from the field functions, in order to have fair and judicious orders passed. Indian Revenue should be divided into two distinct sets—the operational side and the technical/adjudication side. The quasi-judicial… – Continue reading