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

The hire of Doug Wick expands Baker McKenzie’s state and local tax practice and adds to the firm’s growing ex-IRS expertise
One year after Nuwaru joined the WTS network, leaders James Jobson and Matthew Missaghi reflect on the firm’s mission to offer mid-tier pricing but deliver top-tier results
Join ITR's Head of Research, John Harrison, for an overview of key dates, new developments, best practices, and more for next year’s research cycle
The president’s tariff regime has already caused misery for taxpayers. Losing at the Supreme Court would mean it was all for nothing
The US itself was the biggest loser of tax revenue to American multinationals’ profit shifting, the Tax Justice Network reported; in other news, firms made key tax hires
Identifying who will bear the costs and concerns around confidentiality are issues yet to be resolved, advisers say
As multinationals embed tax technology into their TP functions, a new breed of systems – built on multi-model databases – is quietly transforming intercompany pricing logic
The president described it as ‘one of the most important cases in the history of our country’; in other news, Portugal established a VAT group regime
Clients are facing increased TP audit scrutiny in Hungary. DLA Piper Hungary is therefore using AI and advanced analytics to augment its advice, the firm’s head of TP says
Simpson Thacher & Bartlett and MinterEllisonRuddWatts were among the firms that advised on the deal
Gift this article