Tax policies are constantly evolving and there are a number of complex changes on the horizon that could significantly affect your business.

Grant Thornton’s teams can work with you to help you understand these regulations, develop a strategy tailored to your business’ individual tax needs and manage tax risk around the globe.

Base erosion and profit shifting (BEPS)

Businesses with a footprint in a number of countries will be aware of the variations in tax policies between regions.

Insight

Getting to grips with the BEPS action plan

Insight

The European Commission's action plan on corporate taxation

    In recent years, these tax discrepancies have been at the centre of a public outcry and received huge amounts of media attention. Through aggressive tax planning, some organisations capitalised on these discrepancies and regional variations to avoid corporate tax or reduce their liability. This practice is known as base erosion and profit shifting (BEPS). Although legal in the vast majority of cases, this practice has raised ethical concerns worldwide.

    The Organisation for Economic Co-operation and Development (OECD) launched a 15-step action plan to tackle and reduce BEPS, which could lead to major changes in international tax standards.

    Action 1: Address the tax challenges of the digital economy
    Action 2: Neutralise the effects of hybrid mismatch arrangements
    Action 3: Strengthen controlled foreign corporation (CFC) rules
    Action 4: Limit base erosion via interest deductions and other financial payments
    Action 5: Counter harmful tax practices more effectively, taking into account transparency and substance
    Action 6: Prevent treaty abuse
    Action 7: Prevent the artificial avoidance of permanent establishment (PE) status
    Action 8: Assure that transfer pricing outcomes are in line with value creation/intangibles
    Action 9: Assure that transfer pricing outcomes are in line with value creation/risks and capital
    Action 10: Assure that transfer pricing outcomes are in line with value creation/other high-risk transactions
    Action 11: Establish methodologies to collect and analyse data on BEPS and the actions to address it
    Action 12: Require taxpayers to disclose their aggressive tax planning arrangements
    Action 13: Re-examine transfer pricing documentation
    Action 14: Make dispute resolution mechanisms more effective
    Action 15: Develop a multilateral instrument

    View a copy of the detailed action plan from the OECD

    If you do business across borders, it’s essential you understand these possible changes to tax systems. Having a firm grasp on the OECD’s plans could protect you from reputational damage and also make sure your business is compliant with necessary rules and regulations.

    Helping to shape future regulation

    Grant Thornton International Ltd, with input from its member firms and their clients, welcomes the opportunity to comment on the discussion drafts issued by the OECD in accordance to the BEPS action plan. The detailed responses to key areas are available below:

    Prevent treaty abuse [ 5248 kb ] (PDF) (5MB) June 2015 Action 6
    Hard to value intangibles [ 5267 kb ] (PDF) (5MB) June 2015 Action 8
    Preventing the artificial avoidance of PE status [ 5252 kb ] (PDF) (5MB) June 2015 Action 7
    Revisions to Chapter VIII of the Transfer Pricing Guidelines on Cost Contribution Arrangements (CCAs) [ 5252 kb ] (PDF) (5MB) May 2015 Action 8
    Strengthening CFC rules [ 5333 kb ] (PDF) (5MB)

    April 2015

    Actoin 3
    Draft on the use of profit splits in the context of global value chains [ 5326 kb ] (PDF) (5MB) February 2015  Action 10
    Interest deductions and other financial payments [ 5339 kb ] (PDF) (5MB) February 2015  Action 4
    Transfer pricing aspects of cross-border commodity transactions [ 5251 kb ] (PDF) (5MB) February 2015  Action 10
    Revisions to 'Chapter 1' of the transfer pricing guidelines [ 5278 kb ] (PDF) (5MB) February 2015  Action 8.9 and 10
    Follow-up work on preventing treaty abuse [ 5338 kb ] (PDF) (5MB) January 2015 Action 6
    Preventing the Artificial Avoidance of PE Status [ 5342 kb ] (PDF) (5MB) January 2015 Action 7
    Proposed modifications to Chapter VII of the transfer pricing guidelines relating to low value-adding intra-group services [ 5231 kb ] (PDF) (5MB) January 2015 Action 10
    Make dispute resolution mechanisms more effective [ 5274 kb ] (PDF) (5MB)

    January 2015

    Action 14
    Transfer pricing documentation and country by country reporting [ 5274 kb ] (PDF) (5MB) February 2014 Action 13

    If you have any questions or would like to find out more about how we can help, check your local Grant Thornton member firm’s website and contact details.