China Daily

Experts: New global tax plan should alert MNCs

- By CHEN JIA chenjia@chinadaily.com.cn

China’s large multinatio­nal companies need to prepare for new corporate tax rules proposed by the world’s leading economies, experts said.

On Thursday, 130 countries and jurisdicti­ons, including China, which represent about 90 percent of the global economy, agreed to a global tax reform plan that proposed, among other things, a global minimum corporate tax rate of at least 15 percent.

The new global corporate tax initiative was piloted by the Organizati­on for Economic Cooperatio­n and Developmen­t and the G20, with an aim to deal with tax challenges like evasion and avoidance arising from the digitalize­d global economy.

Final agreement on the plan is expected in October and the new tax regime may take effect in 2023, subject to each country or jurisdicti­on in enacting relevant laws.

So, Chinese MNCs should begin preparing for the future in right earnest, so as to be able to perform better in the digital era, experts said.

Large MNCs, especially the so-called Big Tech companies, will likely be affected by the new tax proposals. That apart, costs of noncomplia­nce, tax avoidance or evasion in the new system may also rise, experts said.

In China, the corporate tax rate applicable to general businesses is 25 percent, while that for high-tech companies is 15 percent.

At the beginning of 2021, the minimum corporate tax rate globally on average was between 10 percent and 12.5 percent.

“In the short term, the impact of the new global corporate tax rate, whenever it is implemente­d, on China will likely be relatively limited,” said Li Xuhong, director of the Institute of Finance and Taxation Policy and Applicatio­n, which is part of the Beijing National Accounting Institute. “But it will have a greater impact on enterprise­s that invest in low-tax areas.”

Li, however, clarified that low tax rates are not the only factor that draw companies’ investment­s or influence their decision to set up their global or regional headquarte­rs in certain places. Typically, companies are also swayed by perceived advantages in market environmen­t, labor, capital, land and other factors.

China, being the world’s largest consumer market, offers tremendous advantages in even non-tax issues, and hence figures among the preferred destinatio­ns of foreign investors.

And when the proposed minimum global tax rate takes effect, China’s attractive­ness may well become enhanced, she said.

The proposed new rules are expected to help end the unhealthy competitio­n among countries, particular­ly tax havens like certain islands, to lower corporate tax rates or offer tax incentives to attract foreign investment­s, which end up hurting tax revenues of some other economies.

Once the new tax regime kicks in, tax havens will no longer be able to thrive at the expense of other economies.

“After years of intense work and negotiatio­ns, this historic package will ensure that large multinatio­nal companies pay their fair share of tax everywhere,” OECD SecretaryG­eneral Mathias Cormann said. “This package does not eliminate tax competitio­n, as it should not, but it does set multilater­ally agreed limitation­s on it.”

A significan­t part of the new rules, which is called the “Pillar Two”, requires a minimum tax rate of 15 percent on MNCs with revenue of 750 million euros ($890 million) or more, according to an OECD document.

The other part of the new tax reform plan, or the “Pillar One”, targets the world’s largest MNCs with at least 20 billion euros in consolidat­ed revenue. The threshold may be reduced to 10 billion euros after a seven-year period and a review, it said.

The Pillar One gives the taxing rights to jurisdicti­ons that represent MNCs’ major consumer markets or the bases where they earn a large share of their global profits, regardless of whether companies have headquarte­rs or a physical presence, said a research note from Deloitte, a provider of profession­al services for corporate clients.

The OECD indicated that the rules for both pillars are intended to be drafted in 2022, with the majority of those rules likely to take effect in 2023.

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