BEPS
BEPS
TaxNewsFlash-BEPS — Informes de KPMG Global sobre la OCDE, BEPS y transparencia fiscal
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Artículos recientes
September 2016
August 2016
25 Aug - OECD: Initial analysis of discussion draft, branch mismatch structures
25 Aug - OECD: Public comments, group ratio rule under BEPS Action 4
24 Aug - U.S. Treasury “white paper” on EC’s state aid investigations of transfer pricing rulings
24 Aug - OECD: Comments on proposed amendments, OECD Transfer Pricing Guidelines
22 Aug - Liechtenstein: Automatic exchange of country-by-country reporting
22 Aug - OECD: Discussion draft, branch mismatch structures under BEPS Action 2
18 Aug - Czech Republic: Automatic exchange of APAs, country-by-country reporting proposals
16 Aug - Israel: Country-by-country reporting, transfer pricing documentation in budget plan
11 Aug - Nigeria: Country-by-country reporting, implementation moves forward
9 Aug - Canada: Discussion, observations about country-by-country reporting proposal
8 Aug - Asia Pacific: Country-by-country reporting, status update for region
8 Aug - EU: Country-by-country reporting—an EU perspective
5 Aug - Australia: Review of transfer pricing developments since 2012; plans for more BEPS changes
5 Aug - Luxembourg: Draft law for country-by-country reporting submitted to Parliament
3 Aug - Canada: Country-by-country reporting requirements in draft legislative proposals
1 Aug - KPMG report: Indirect tax implications of BEPS project
1 Aug - Korea: Revised legislation, transfer pricing and country-by-country reporting rules
July 2016
28 Jul - OECD: Discussion draft, BEPS in banking and insurance sectors
25 Jul - Austria: New transfer pricing documentation, country-by-country rules effective for 2016
25 Jul - OECD: Report on status of BEPS project
18 Jul - OECD: Jamaica joins BEPS framework
14 Jul - Australia: Government's approach to key BEPS actions following the 2016 federal election
13 Jul - China: Transfer pricing documentation, related-party reporting guidance from BEPS project
12 Jul - OECD: BEPS status update
11 Jul - Hong Kong: BEPS participation, recommendations pending government action
11 Jul - OECD: Discussion draft, “group ratio rule” under BEPS Action 4
7 Jul - OECD: Discussion draft under BEPS Actions 8-10, profit split guidance
7 Jul - OECD: Discussion draft under BEPS Action 7, profits attributed to
permanent establishments
6 Jul - Hong Kong: Transfer pricing and BEPS considerations—intangible property and R&D activities
5 Jul - Belgium: Country-by-country reporting, transfer pricing documentation; new law is published
4 Jul - Japan: Guidance under new transfer pricing documentation rules
4 Jul - OECD: BEPS discussion drafts include revised guidance on profit splits
4 Jul - OECD: Comments invited on revised transfer pricing guidelines
1 Jul - Germany: Country-by-country reporting, BEPS items in draft bill
June 2016
30 Jun - OECD: New inclusive framework, 80+ countries at BEPS meeting
29 Jun - United States: Initial description of country-by-country reporting final regulations
29 Jun - OECD: Guidance on implementation of country-by-country reporting
29 Jun - United States: Country-by-country reporting, final regulations (text)
28 Jun - New Zealand: Recommendations for foreign trusts, inbound investment, BEPS proposals
28 Jun - OECD: Offshore tax evasion convention signed by Dominican Republic, Nauru
24 Jun - Singapore: Country-by-country reporting
21 Jun - EU: Agreement on directive reached, new tax avoidance rules
20 Jun - Finland: Transfer pricing documentation, country-by-country reporting draft legislation
16 Jun - OECD: Webcast discussions about BEPS, tax transparency
15 Jun - OECD: BEPS amendments incorporated into Transfer Pricing Guidelines
7 Jun - EU: Council approves country-by-country reporting, mandatory automatic exchanges of tax information
2 Jun - KPMG’s initial analysis of OECD discussion draft: Development of multilateral instrument
2 Jun - OECD: Jamaica, Uruguay sign tax-assistance convention, Brazil completes ratification
1 Jun - OECD: Multilateral instrument to implement tax treaty-related BEPS measures, request for comments
May 2016
25 May - Australia: Country-by-country, final Local files released
25 May - Norway: Transfer pricing documentation, country-by-country reporting included in political agreement
23 May - Netherlands: Proposed “innovation box” changes, align with BEPS recommendations
23 May - US: Senators again express concerns about EC state-aid investigations
20 May - China: Participation in global tax initiatives (BEPS, CRS)
19 May - Denmark: New transfer pricing documentation requirements
19 May - Austria: Proposed legislation, transfer pricing documentation and country-by-country reporting
16 May - Belgium: Draft law, country-by-country reporting and transfer pricing documentation requirements
13 May - UK: Restrictions on tax deductibility of corporate interest expense, consultation
13 May - OECD: Heads of tax administrations meet, discuss BEPS project implementation
13 May - Norway: Proposed legislation to implement country-by-country reporting rules
12 May - OECD: Canada, Iceland, India, Israel, New Zealand, China advance country-by-country reporting
April 2016
27 Apr - OECD: Comments, discussion draft on treaty entitlement of non-CIV funds
27 Apr - Japan: Country-by-country reporting requirements
26 Apr - Switzerland: Country-by-country reporting, implementing legislation advances
20 Apr - Canada: Procedures for exchange of tax rulings under BEPS rules
20 Apr - Bermuda: Country-by-country reports, automatic exchange agreement signed
19 Apr - International organizations announce plans to cooperate on tax issues
13 Apr - OECD: Tax administrations meet on “Panama papers”
12 Apr - South Africa: Draft regulations, country-by-country reporting
12 Apr - EU: “Public” country-by-country reporting for multinational enterprises advances
6 Apr - OECD: Comments, treaty residence of pension funds
4 Apr - Canada: Country-by-country reporting in 2016
4 Apr - UK: Discussion of BEPS-related measures in 2016 budget, Finance Bill
March 2016
31 Mar - Korea: Master file and local file templates are released
28 Mar - UK: BEPS items included in Finance (No. 2) Bill 2016
24 Mar - OECD: Treaty benefits for non-CIV funds; BEPS follow-up consultation
23 Mar - Canada: Country-by-country reporting, transfer pricing proposals in 2016 federal budget
23 Mar - EU: Draft proposal on “public” country-by-country reporting
22 Mar - OECD: Standardized electronic format for exchanging country-by-country reports
18 Mar - Turkey: Draft communiqué on transfer pricing documentation, country-by-country reporting
16 Mar - UK: Tax proposals in 2016 budget; timetable for BEPS implementation
11 Mar - Luxembourg: Tax reform, addressing BEPS recommendations
11 Mar - UK: Preparing for country-by-country reporting
9 Mar - Australia: Costs of non-compliance with country-by-country reporting requirements
8 Mar - EU: Automatic exchange of country-by-country reporting by multinational companies
3 Mar - UK: Final country-by-country reporting regulations
3 Mar - EU: State-aid investigations of “tax rulings,” response to U.S. concerns
1 Mar - India: Country-by-country reporting, transfer pricing documentation rules in budget 2016
February 2016
29 Feb - OECD: Draft changes to model treaty; residence of pension funds
26 Feb - EU: Roadmap on BEPS
26 Feb - Jersey: Consultation on country-by-country reporting
24 Feb - Africa: Regional focus on BEPS
23 Feb - OECD: Non-member countries may join as “BEPS associates”
22 Feb - KPMG report: Initial analysis of 2016 U.S. model treaty
22 Feb - New Zealand: Implementing AEOI regime, exchange of transfer pricing rulings
17 Feb - New U.S. model income tax treaty (2016) is released
11 Feb - US: Treasury letter to EC on state aid investigations
11 Feb - Australia: Consultation on BEPS-related transfer pricing recommendations
4 Feb - Senegal: Agreements signed for tax assistance, exchange of country-by-country reports
January 2016
28 Jan - EU: New anti-tax avoidance package focused on corporations
27 Jan - OECD: Agreement signed for exchange of country-by-country reporting information
26 Jan - OECD: Countries to sign country-by-country implementation agreement
20 Jan - France: Country-by-country reporting, transfer pricing declaration
15 Jan - U.S. Senate Finance members urge Treasury intensify efforts, EU state aid investigations
13 Jan - Australia: Prepare now for country-by-country reporting
12 Jan - EU: Action plan for corporate tax, 2016
12 Jan - Finland: Transfer pricing documentation rules,country-by-country reporting proposal
11 Jan - Belgium: “Excess profit” tax advantages to be recovered from multinationals
11 Jan - EU: Initiatives on corporate tax avoidance, scheduled for 27 January
5 Jan - Norway: Country-by-country reporting proposal, public consultation
5 Jan - Netherlands: New transfer pricing documentation rules enacted; country-by-country reporting
4 Jan - Korea: Master file and local file; “full” transfer pricing reporting
2015 Articles
December 2015
23 Dec - US: Country-by-country reporting, KPMG report on proposed regulations in United States
23 Dec - Italy: Country-by-country reporting approved in 2016 budget law
22 Dec - Denmark: Country-by-country reporting for 2016
22 Dec - Ireland: Country-by-country legislation is enacted
21 Dec - US proposed regulations: Country-by-country reporting; text of regulations
18 Dec - Australia: Country-by-country reporting guidelines
17 Dec - EU: Draft “anti-BEPS” directive, addressing corporate tax planning and evasion
15 Dec - Japan: Transfer pricing documentation rules, based on BEPS recommendations
7 Dec - Australia: Country-by-country reporting, public disclosure, other transparency measures passed
November 2015
24 Nov - Legislative update: Congressional hearings on BEPS
23 Nov - OECD: Treaty-related MAP statistics for 2014 reporting period
18 Nov - France: Country-by-country reporting added to Finance Bill, 2016
18 Nov - Nigeria: Implications of BEPS proposals
17 Nov - Australia: New treaty with Germany reflects BEPS recommendations
17 Nov - OECD: G20 leaders endorse BEPS, automatic exchange of information projects
16 Nov - Qatar: Preparing for BEPS changes
10 Nov - UK: Changes to interest deductibility rules, implications for transfer pricing
9 Nov - France: Status of transfer pricing documentation, country-by-country reporting
7 Nov - OECD: BEPS-related meetings
5 Nov - Australia: Are investment entities excluded from “group” for country-by-country reporting?
5 Nov - Poland: Expanded transfer pricing, country-by-country reporting enacted
October 2015
26 Oct - Hungary: Implementing transfer pricing-related BEPS actions
20 Oct - Luxembourg: Draft legislative proposals to implement BEPS measures
16 Oct - France: Country-by-country reporting; BEPS provisions
13 Oct - BEPS: Current status of implementation in various countries
12 Oct - New Zealand: Path to BEPS implementation
12 Oct - Norway: Budget 2016, country-by-country reporting
12 Oct - US: BEPS deliverables formally accepted
9 Oct - OECD: G20 finance ministers endorse BEPS final recommendations
9 Oct - Australia: Government’s initial response to BEPS final reports
9 Oct - China: Tax administration’s response to BEPS
9 Oct - Ireland: BEPS implications for taxpayers
9 Oct - UK: BEPS implications for UK taxpayers; country-by-country reporting, patent box
7 Oct - KPMG report: BEPS special edition
7 Oct - Australia: BEPS implications for multinational enterprises
September 2015
25 Sep - OECD: BEPS final reports expected 5 October
24 Sep - Brazil: Tax amnesty; disclosing tax-structured transactions
23 Sep - Denmark: Country-by-country reporting, documentation proposed
21 Sep - KPMG report: Challenges of BEPS documentation
18 Sep - China: Transfer pricing discussion draft; BEPS influence
18 Sep - Mexico: Transfer pricing, country-by-country reporting proposals
17 Sep - Switzerland: “Go ahead” to accept final BEPS reports
16 Sep - Netherlands: “Country-by-country” reporting, documentation proposed for 2016
August 2015
27 Aug - US tax committee chairs question country-by-country reporting
24 Aug - China: Managing IP tax challenges in BEPS environment
20 Aug - Korea: Law to implement BEPS-related transfer pricing requirements
14 Aug - UK: Common framework for disclosing tax information
12 Aug - Australia: Country-by-country reporting update
7 Aug - Australia: Proposed CbC, transfer pricing documentation requirements
July 2015
17 Jul - Finance chairman expresses concerns with BEPS project
June 2015
30 Jun - OECD: BEPS status, as of June 2015
19 Jun - OECD: Comments, BEPS Action 8 (hard-to-value intangibles) discussion draft
18 Jun - OECD: Comments, discussion draft BEPS Action 6 (treaty abuse)
17 Jun - EU: Plan to curb corporate tax avoidance
15 Jun - OECD: Comments, BEPS Action 7 discussion draft (PE status)
11 Jun - OECD webcast provides BEPS status update
8 Jun - OECD: Implementation package for BEPS country-by-country reporting
5 Jun - OECD: Initial impressions, BEPS Action 8 (hard-to-value intangibles)
4 Jun - OECD: Discussion draft, BEPS Action 8 (hard-to-value intangibles)
1 Jun - OECD: Comments on BEPS Action 8 (cost contribution arrangements)
May 2015
28 May - OECD: Developing BEPS multilateral instrument
27 May - KPMG report: Revised discussion draft, BEPS Action 7 (artificial avoidance of PE status)
22 May - OECD: Revised discussion draft, BEPS Action 6 (treaty abuse)
20 May - Tax treaty update: Proposed revisions to U.S. Model Tax Convention
15 May - BEPS: Action 7 preventing artificial avoidance of PE status
13 May - Australia: Transfer pricing-related measures in federal budget 2015
5 May - OECD: Discussion of BEPS Action 8 (cost contribution arrangements)
1 May - BEPS: KPMG comment letters on Actions 3 and 12
April 2015
29 Apr - OECD: Discussion draft, BEPS Action 8 (cost contribution arrangements)
27 Apr - OECD: BEPS Action 11 (improving analysis of BEPS)
20 Apr - KPMG report: Initial analysis of BEPS Action 3, (strengthening CFC rules) discussion draft
16 Apr - OECD: Discussion draft, BEPS Action 11 (improving BEPS analysis)
9 Apr - BEPS: Initial impressions of discussion draft (Action 12)
3 Apr - OECD: Discussion draft, BEPS Action 3 (CFC rules)
1 Apr - China: Guidance clarifying international tax rules, tax treaties
March 2015
31 Mar - OECD: Discussion draft, BEPS Action 12 (mandatory disclosure rules)
31 Mar - Spain: Enhanced documentation, reporting proposed; following BEPS Action 13
20 Mar - UK: Diverted profits tax, final legislation next week
18 Mar - EU: Tax transparency package, corporate tax avoidance
February 2015
25 Feb - Canada: Intercompany management fees
20 Feb - OECD: Agreement on modified nexus approach for IP regimes
19 Feb - OECD: Consultation on transfer pricing, 19-20 March
12 Feb - OECD: Transfer pricing documentation, country-by-country reporting
11 Feb - OECD: BEPS Action 4, public comments
10 Feb - OECD: BEPS comments, transfer pricing guidelines
9 Feb - OECD: Comments on BEPS Action 4
6 Feb - OECD: BEPS implementation update
6 Feb - OECD: Update on BEPS country-by-country reporting
January 2015
23 Jan - Ireland: BEPS and Irish business
23 Jan - OECD: Public consultation, BEPS Action 14 (dispute resolution)
22 Jan - OECD: Public consultations on BEPS Actions 6, 7
20 Jan - OECD: Comments concerning BEPS Action 10 (low value-adding services)
19 Jan - OECD: Comments concerning BEPS Action 14 (dispute resolution)
19 Jan - Australia: Arm’s length consideration and related-party loan
12 Jan - OECD: Comments on BEPS Actions 6 and 7
6 Jan - Japan: Tax reform proposals of new government coalition
2014 Articles
23 Dec - OECD: Impressions concerning proposed Transfer Pricing Guidelines revisions
22 Dec - OECD: Initial impressions of MAP-related draft (BEPS Action 14)
19 Dec - OECD: Initial impressions of discussion draft (BEPS Action 10)
19 Dec - OECD: Initial impressions of discussion draft (BEPS Action 4)
19 Dec - EU: Luxembourg to comply with EC tax rulings investigation
19 Dec - OECD: Transfer pricing (BEPS Actions 8, 9 and 10)
18 Dec - OECD: Profit splits, global value chains (BEPS Action 10)
18 Dec - OECD: VAT/GST discussion drafts, relating to BEPS Action 1
18 Dec - OECD: Discussion draft on interest deductions (BEPS Action 4)
18 Dec - OECD: Discussion draft on dispute resolution (BEPS Action 14)
16 Dec - EU: Report on patent boxes, hybrid entities
16 Dec - OECD: Transfer pricing-related discussion drafts (BEPS Action 10)
15 Dec - Responses to UK’s “diverted profits tax”
10 Dec - UK: Finance Bill draft clauses; diverted profits tax
10 Dec - Luxembourg: Proposal to codify transfer pricing practice, advance rulings
9 Dec - EU: Measures approving anti-abuse clause, mandatory exchange of information
5 Dec - BEPS: Description of BEPS proposals in the UK
3 Dec - UK: Hybrid mismatch arrangements consultation, other BEPS-related focus
2 Dec - OECD: Webcast update on BEPS project (15 December)
2 Dec - Norway: Proposals for tax reform; maritime industry considerations
1 Dec - New Zealand: Inland Revenue’s timeline for BEPS consultations
November 2014
21 Nov - BEPS: follow-up work under Action 6 (prevent treaty abuse)
18 Nov - EU: Country actions, reactions to BEPS project
17 Nov - BEPS: Tax-related agreements from meeting of G20 leaders
12 Nov - OECD: Developing countries and BEPS
12 Nov - Germany: Agreement with UK on preferential IP regimes (BEPS)
10 Nov - OECD: Transfer pricing and BEPS Action 10 discussion draft
6 Nov - KPMG report: BEPS Action 7 discussion draft on preventing artificial avoidance of PE status
5 Nov - Asia Pacific: BEPS implications for taxation in the region
4 Nov - Canada: Resource companies to publish reports of tax payments
4 Nov - Latin America: BEPS implications for taxation in the region
4 Nov - Germany: Proposals for new anti-hybrid financing rule, intra-group transfers
3 Nov - OECD: Low value-adding intra-group services (BEPS Action 10)
October 2014
31 Oct - OECD: Prevent avoidance of PE status (BEPS Action 7)
22 Oct - OECD: BEPS, exchange of financial information to be addressed
10 Oct - United Kingdom: Consultation on BEPS hybrid mismatch arrangement announced
8 Oct - Australia: ATO’s response to seven BEPS action items
7 Oct - OECD: Comments published on BEPS Action 11
1 Oct - OECD: Timetable for publication of BEPS discussion drafts, comments
September 2014
29 Sept - Hong Kong: BEPS 2014 deliverables
26 Sept - Australia: Increased transfer pricing focus on intangible transactions
22 Sept - EU: Corporate tax-avoidance package (BEPS) endorsed by G20 ministers
19 Sept - Australia: Implications of BEPS deliverables for Australian businesses
19 Sept - India: Implications of BEPS for businesses in India
19 Sept - Netherlands: Dutch Cabinet’s initial response to BEPS recommendations
19 Sept - New Zealand: Implications of BEPS for New Zealand businesses
19 Sept - Japan: Main points of BEPS deliverables for Japanese businesses
19 Sept - OECD: Recommendations on preventing treaty abuse (BEPS Action 6)
19 Sept - United Kingdom: Updated FATCA guidance; BEPS deliverables
18 Sept - Canada: Potential implications of BEPS changes for Canadian corporations
18 Sept - OECD: Recommendations for multilateral instrument to modify tax treaties (BEPS Action 15)
18 Sept - OECD: Recommendations to counter harmful tax practices (BEPS Action 5)
18 Sept - OECD: Transfer pricing documentation, country-by-country reporting (BEPS Action 13)
16 Sept - OECD: First seven BEPS-related instruments, reports are presented
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