San Diego Union-Tribune

TALKS ON TAXING TECH WILL SLIP INTO 2021

Countries look for new sources of tax revenues to shore up budgets

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Internatio­nal negotiator­s said Monday that they would not reach agreement this year on how and where to tax technology giants like Google and Facebook, as talks remain hindered by the pandemic and an ongoing dispute between the United States and other wealthy nations.

Pressure is mounting on negotiator­s, as an increasing number of countries look to patch budget holes by imposing new taxes on American tech corporatio­ns, inviting retaliator­y threats from the Trump administra­tion.

Officials at the Organizati­on for Economic Cooperatio­n and Developmen­t, which has organized the negotiatio­ns, warned in a morning news conference from Paris that failing to strike a deal would lead to a proliferat­ion of taxes and tariffs that could reduce the size of the global economy by as much as 1 percent — more than $1 trillion at current levels — per year.

“The alternativ­e to finding an agreement would be a trade war,” Angel Gurria, the organizati­on’s secretary-general, told reporters.

As many nations are trying to rebuild their economies from the coronaviru­s pandemic, he said, “it would inf lict a very serious setback.”

Gurria and Pascal Saint-Amans, who directs the OECD’s Center for Tax Policy and Administra­tion, cited the virus and “political issues” as having derailed the goal of reaching agreement by the end of this year.

The politics heavily feature the Trump administra­tion, which said in June that it was pulling out of negotiatio­ns, amid disputes with other wealthy countries over the treatment of American companies that could face higher global tax bills under a new internatio­nal agreement.

Steven Mnuchin, the Treasury secretary, has pushed for a provision in any agreement that would effectivel­y allow American corporatio­ns to choose whether or not to be governed by the global tax system set up by an agreement, a demand that other leading countries oppose.

But the OECD officials said Monday that the administra­tion had remained a part of the talks and had not pulled American experts out of the negotiatio­ns.

“The United States has been working with us and has added its technical competence and expertise to the work the OECD has been doing,” Gurria said. “They have been participat­ing actively and at high levels.”

The talks cover a high-stakes, and highly lucrative, issue that has emerged around the world in recent years: the question of how countries should tax the sale of goods and services to their citizens over the Internet, by corporatio­ns that have little or no physical presence inside their national borders.

That question has taken on new urgency as countries look for new sources of tax revenues to shore up their government budgets as they spend heavily to contain the pandemic and help their economies emerge from it as quickly as possible.

Many government­s, in Europe and elsewhere, have increasing­ly looked to implement so-called digital service taxes, which apply largely to American tech giants like eBay and Amazon.

Italy, Spain, Austria and Britain have all announced plans to levy digital services taxes, following the lead of France.

In response, the United States has threatened to impose tariffs on imports from countries that impose the taxes. The administra­tion said in July that it would move next year to tax $1.3 billion in products like cosmetics and handbags from France, in retaliatio­n for its digital service tax.

Saint-Amans said Monday that he had seen no indication that the United States or France would hold off on re escalating the dispute next year.

One of the technical documents released Monday would guide where multinatio­nal companies pay taxes, including a new push that would effectivel­y make some tech companies pay taxes where their customers are, even if they have no operations in those countries.

Another would establish a new global corporate minimum tax.

Those efforts, combined with changes in internatio­nal taxation that were included in President Donald Trump’s signature 2017 tax law, could raise up to $100 billion a year in new tax revenue from multinatio­nal companies, the OECD estimates.

Another $100 billion in corporate taxes could shift between countries.

Countries of all income levels would benefit from additional tax revenues, the OECD estimated on Monday, though some low-tax countries like Ireland could lose out.

 ?? CHRISTIE HEMM KLOK THE NEW YORK TIMES ?? Negotiator­s said Monday that they would not reach agreement this year on how and where to tax giants like Google and Facebook, as talks remain hindered by the pandemic and an ongoing dispute between the U.S. and other wealthy nations.
CHRISTIE HEMM KLOK THE NEW YORK TIMES Negotiator­s said Monday that they would not reach agreement this year on how and where to tax giants like Google and Facebook, as talks remain hindered by the pandemic and an ongoing dispute between the U.S. and other wealthy nations.

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