BEPS: OECD insists it is engaging with developing countries

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

BEPS: OECD insists it is engaging with developing countries

beps.jpg

More than 300 senior tax officials from more than 100 jurisdictions and international organisations met in Paris on September 26 and 27 to discuss solutions to unintended double non-taxation caused by base erosion and profit shifting (BEPS).

“Participants discussed the content of the action plan on BEPS released on July 19 and ways through which developing countries can engage and provide input,” said an OECD press release.

“We need to address BEPS issues in order to maintain and strengthen the existing framework to eliminate double taxation, which is key for cross-border investments. The BEPS project is both exciting and challenging and we can work together to achieve concrete results in the next 18-24 months,” said Pascal Saint-Amans, director of the OECD’s Centre for Tax Policy and Administration.

Saint-Amans also commented on the importance of this work for developing countries, noting that corporate income tax revenue makes up a substantial part of their total tax revenues.

Tax justice campaigners including ActionAid have stressed the importance of including developing countries in any process designed to tackle BEPS.

When G20 leaders endorsed the BEPS action plan last month, Toby Quantrill, ActionAid tax policy adviser, said the statement “still gives little assurance that these tax reform processes will respond to the needs of the world’s poorest countries”.

And Keith O’Donnell, Taxand board member and managing partner of Atoz – Taxand Luxembourg, said recent meetings hosted by bodies such as the OECD and G20 have failed to clarify how the BEPS process will include developing countries.

“The result leaves us somewhat unclear as to which is highest up the OECD’s priority list – is the BEPS initiative more about the public’s concern over multinational tax planning, or the concerns arising from profits being diverted away from developing countries?” asks O’Donnell.

Saint-Amans told delegates at the 13th International Tax Review Global Transfer Pricing Forum in New York that the 18-24 month timeframe, which has been criticised by many as too ambitious, will be achievable because of the top-down approach to the BEPS project.

“The BEPS project is being handled by governments and organisations such as the G20, whereas the intangibles project [for example] is being run by a working group involving tax experts involved in the tax market on a daily basis,” he said.

more across site & shared bottom lb ros

More from across our site

Senator Richard Colbeck told ITR he was concerned by the decision to let PwC Australia tender for government contracts again after a scandal-induced ban
Whether it be due to a fragmented advisory market or a rise in M&A, Italy’s frenetic hiring has not gone unnoticed by ITR’s Talent Tracker
The deal gives Azets 14 new partners and boosts its Swedish revenues to over $100 million; in other news, Svalner Atlas launched in Copenhagen
The tax technology company will be providing a free demonstration of its OTP software and offering best practice advice on whether to ‘buy or build’ on September 8
Johanes Glorinus Saragih of Indonesia’s Directorate General of Taxes outlines the nation’s delicate geopolitical situation, as it sits between a rock and a hard place with the US and pillar two
The law firm’s head of tax, trade and wealth management likens tax legislation to a complex puzzle, recommends a sturdy coffee mug, and explains why acronyms make tax cool
The global tax and accounting firm has appointed two experienced TP advisers from a New Jersey-based boutique
A lack of commitment from major jurisdictions and the associated compliance burden are obstacles facing the OECD initiative
Richard Gregg is no longer fit and proper to be a tax agent, said the TPB; in other news, MHA completed its acquisition of Baker Tilly South-East Europe
Recent Indian case law emphasises the importance of economic substance over mere legal form in evaluating tax implications, say authors from Khaitan & Co
Gift this article