Qatar Tribune

Will global corporate tax rate help COVID-19 recovery?

-

DURING last year’s US presidenti­al campaign, Joe Biden promised to crack down on tax-evading multinatio­nals, and he has now called for a global minimum corporate tax rate. However, some fear that President Biden’s plan may hinder developing economies’ CO ID-19 recovery.

In April, as part of his Made in America tax plan, President Biden announced proposals to oblige multinatio­nals – foremost among them tech giants such as Google, Amazon, Facebook and Apple – to pay more tax, both in the US and in other countries where they generate pro ts.

Such companies currently employ a range of techniques to minimise their tax bills.

One such technique is pro tshifting. This involves pro ts being declared, not in the countries where they are accrued, but in countries with low corporate tax rates, such as Ireland, or tax havens such as Bermuda, the Cayman Islands or Singapore.

To accompany the plan’s announceme­nt, the US Department of the Treasury released documents demonstrat­e that “more US pro ts are housed in tiny tax havens than in the major economies of China, India, Japan, France, Canada and Germany combined.”

The Biden administra­tion’s plan seeks to establish a global minimum corporate tax rate of 21 percent. It is hoped that this would eliminate incentives to offshore investment and stop the so-called race to the bottom, where countries compete for multinatio­nals’ business by reducing corporate tax rates.

This interventi­on has reinvigora­ted an ongoing debate. For the last four years the OECD has been coordinati­ng talks among 140 countries regarding the establishm­ent of a global tax rate.

Speaking at a conference last month, the OECD’s director for tax policy, Pascal Saint-Amans said that negotiatio­ns were now ‘too big to fail’ and that a deal was likely to come this year. The OECD’s plan has been met with widespread support from many richer nations.

For example, the UK that launched its own Digital Services Tax last year has said it “strongly supports G7, G20 and OECD discussion­s on long-term reform” and is “committed to dis-applying the Digital Services Tax once an appropriat­e internatio­nal solution is in place”.

Neighbouri­ng Ireland, however, stands to lose out if a global minimal rate is introduced.

For some years Ireland has courted multinatio­nals with its 12.5 percent corporate tax rate compared to 19 percent in the UK, 30 percent in Germany and 26.5 percent in Canada.

Many big tech rms have establishe­d bases in the country as a result, and Irish authoritie­s are concerned that a change in the rate could prompt an exodus.

Speaking in April, Ireland’s minister of nance, Paschal Donohoe, said he believed that smaller countries “need to be able to use tax policy as a legitimate lever to compensate for the real, material and persistent advantage enjoyed by larger countries”.

Others have expressed similar sentiments.

For example, the Financial Times recently reported that many developing economies fear that the eventual OECD agreement will not be in their best interests.

“The world’s poorest countries are once again at risk of losing out when the global tax pie gets divided, despite the fact that they are more in need of tax income than anyone else,” Tove Maria Ryding, policy and advocacy manager at the European Network on Debt and Developmen­t, told the publicatio­n.

This question has become particular­ly relevant in the post-pandemic context. While countries are searching for tax revenue to support them as they rebuild, many developing nations are racing to diversify their economies away from an over-reliance on tourism or, in some cases, hydrocarbo­ns.

Many are also focused on a green recovery from CO ID-19, for which foreign direct investment is also key. A competitiv­e corporate tax rate is one way to attract multinatio­nal companies, which could help to underwrite such efforts.

In parallel to the OECD-led initiative, the UN Tax Committee has been developing a similar programme, which is focused speci cally on digital companies.

The UN’s stance is more exible than the OECD’s, and has been welcomed by many developing nations. In April the committee voted to include a provision known as Article 12B in the UN’s 2021 Model Tax Convention, which grants additional taxation rights to countries where digital services are provided and revenue is generated.

While the article is non-binding, where implemente­d it will enable developing economies to capture more value from tech giants’ operations in their countries.

Article 12B was championed by India and Argentina, and backed by various emerging nations, among them Ecuador, Ghana, Nigeria and ietnam.

The UN’s stance demonstrat­es the growing consensus around addressing global tax avoidance with the economic needs of developing nations in mind, particular­ly at a time when tax revenue has a crucial role to play in recovery.

 ??  ?? For the last four years the OECD has been coordinati­ng talks among 140 countries regarding the establishm­ent of a global tax rate.
For the last four years the OECD has been coordinati­ng talks among 140 countries regarding the establishm­ent of a global tax rate.

Newspapers in English

Newspapers from Qatar