Business Standard

OECD framework to help FinMin check tax avoidance by MNCs

- DILASHA SETH

The finance ministry is proceeding with moves to curb legal tax avoidance by multinatio­nal companies (MNCs).

Revenue considerat­ions apart, it has been buoyed by the recommenda­tion that developing countries do so, from the Paris-based Organisati­on of Economic Co-operation and Developmen­t (OECD).

The latter body has made suggestion­s on an ‘action plan’ in this regard, issued on Monday, on what is termed base erosion and profit shifting (BEPS) between countries. It had formulated this at the request of G-20 countries, a mix of developed and developing ones.

The government is studying suggestion­s on checking instances of double non-taxation and ‘treaty shopping’, the term for the practise of structurin­g a multinatio­nal business to take advantage of more favourable taxes in certain jurisdicti­ons. It will ensure, say officials, that the proposed General AntiAvoida­nce Rule (GAAR, on taxes), expected to come into force from April 2017, complement­s the BEPS action plan of OECD. GAAR was deferred by two years in the

‘TREATY SHOPPING’

| The government is studying suggestion­s on checking instances of double nontaxatio­n and ‘treaty shopping’

| It will ensure that the proposed General Anti-Avoidance Rule (GAAR, on taxes), expected to come into force from April 2017, complement­s the BEPS action plan of OECD

2015-16 Union Budget.

Provisions not part of GAAR such as ‘mandatory reporting norms’ might be introduced. “We will soon take a view on (incorporat­ing) that in domestic taxation law,” said an official.

The BEPS plan is to be discussed at the G-20 finance ministers’ meeting in Lima, Peru, which opened on Thursday. Finance Minister Arun Jaitley is attending.

“We are happy that the BEPS plan has taken into account concerns on internatio­nal taxation raised by India. We are studying each of the recommenda­tions and how we can incorporat­e those in our domestic tax laws. While some will require amendment in the Income Tax Act, we will issue circulars or guidance notes for others,” said an official.

Re-negotiatio­n of tax treaties is likely only after December 2016, when a multilater­al instrument to modify bilateral tax treaties is to be signed by about 90 countries. The instrument will provide a standard framework for bilateral tax treaties, to check abuse of double taxation avoidance treaties by MNCs.

However, getting a consensus on the multilater­al instrument will be a colossal task, as it will require all 90 countries to agree to all provisions of the instrument, the negotiatio­ns for which will commence early next year.

 ??  ?? BEPS plan is on agenda at the G-20 finance ministers’ meeting in Lima, which Jaitley (right) is attending
BEPS plan is on agenda at the G-20 finance ministers’ meeting in Lima, which Jaitley (right) is attending

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