OECD unveils plan for 2014/2015 BEPS work

International Tax Review is part of Legal Benchmarking Limited, 1-2 Paris Garden, London, SE1 8ND

Copyright © Legal Benchmarking Limited and its affiliated companies 2025

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

OECD unveils plan for 2014/2015 BEPS work

calendar-planned-c.png

The OECD is getting straight back to work on base erosion and profit shifting (BEPS).

It is less than two weeks since the OECD presented its first set of recommendations and reports on BEPS to G20 finance ministers and already it is showing its determination to complete the rest of the work on time by the end of next year. It has published the schedule for discussion papers, public consultations and webcasts over the next 10 months.

calendar-planned.png

First up is the discussion draft on low-value adding services, which is due out in mid-October. This paper is one of the exceptions to the general rule that the period for comment on discussion drafts will be 30 days.

This draft will be open for comment for 45 days, as will treaty abuse (out in mid-November), and three separate papers covering risk and recharacterisation, commodity transactions and profit splits (mid-December). The PE (permanent establishment) status draft, which is bound to attract a lot of attention, is due out at the end of this month and will be open for comment for 60 days.

There will be 10 public consultations, starting with PE status, dispute resolution and treaty abuse over three consecutive days in January and finishing with separate sessions on CCAs (cost contribution arrangements) and intangibles, covering ownership and valuation, in July 2015.

The OECD is also continuing with its series of well-received BEPS webcasts, giving updates on progress. Three will take place, in November, and next year in January and April.

more across site & shared bottom lb ros

More from across our site

Using tax to enhance its standing as a funds location is behind Luxembourg’s measures aimed at clarifying ATAD 2 and making its carried interest regime more attractive
Encompassing everything from international scandals to seismic political events, it’s a privilege to cover the intriguing world of tax
In his newly created role, current SSA commissioner Bisignano will oversee all day-to-day IRS operations; in other news, Ryan has made its second acquisition in two weeks
In the age of borderless commerce, money flows faster than regulation. While digital platforms cross oceans in milliseconds, tax authorities often lag. Indonesia has decided it can wait no longer
The tariffs are disrupting global supply chains and creating a lot of uncertainty, tax expert Miguel Medeiros told ITR’s European Transfer Pricing Forum
Corporate counsel should combine deep technical knowledge with strategic dynamism, says Agarwal, winner of ITR’s EMEA In-house Indirect Tax Leader of the Year award
Luxembourg’s reform agenda continues at pace in 2025, with targeted measures for start-ups and alternative investment funds
Veteran Elizabeth Arrendale will lead the new advisory practice, which will support clients with M&A tax structuring, post-deal integration, and more
MAP cases keep increasing, and cases closed aren’t keeping pace with the number started, the OECD’s Sriram Govind also told an ITR summit
Nobody likes paperwork or paying money, but the assertion that legal accreditation doesn’t offer value to firms and clients alike is false
Gift this article