Is the Global Trend Toward Tax Transparency and Disclosure a Surprise to Many Multinationals?: Insights from the ABA Tax Section Meeting in DC, May 6, 2016

By: Diane Ring

As I mentioned in my post earlier this week, I am in DC for the ABA Tax Section Meeting and am very much looking forward to this afternoon’s session on the EU State Aid Investigations. But at this morning’s session of the Administrative Practice Section, much of the conversation during the panel on the post-BEPS world focused on the array of new mechanisms that have emerged–or are being contemplated–at all levels (domestic tax law, international agreements, etc.) to provide increased transparency regarding multinational taxpayers and their tax treatment. Among the key examples were FATCA, BEPS-based country-by country-reporting, and new rules in the EU.

The fact that this was a topic at the ABA was not surprising, nor was the specific list of transparency and disclosure measures noted during the discussion. What did surprise me was the observation made during the panel that for many multinationals (not the really large ones, but the next tier down) this emerging trend was not on their radar. The point was made that these businesses did not have the staff to monitor the activities of the major international organizations such as the OECD and JITSIC in the same way that the very largest businesses did. Thus, despite the fact that the current world of transparency and disclosure was in fact foreseeable and reflects a perceptible evolution that has been taking place since the 1990s, it nonetheless took some of these taxpayers by surprise.

I am not sure what to make of this–but one point it suggests is that there was a general sense among these multinational businesses that although institutions such as the OECD played a role in international tax, it was a limited and predictable role that did not warrant ongoing and extensive monitoring by such businesses. I imagine institutions such as the OECD are getting more scrutiny from these businesses now.

 

 

ABA Tax Section May Meeting — Teaching Tax Panel: Government Speakers Will Debate EU-US Controversy Over State Aid (Friday, May 6, 3:00 pm)

By: Diane Ring

It’s already time for the May Meeting of the ABA Tax Section, in DC. and I wanted to highlight the session organized by the Teaching Tax Committee – it should prove to be immensely interesting.

As those who follow international tax know, there has been a been a controversy brewing between the U.S. and the EU regarding European Commission investigations into whether tax rulings that certain multinationals (most of which are U.S. corporations) received from EU member states constitute forbidden state aid. The U.S. has expressed concern that the investigations inappropriately target U.S. businesses, while the EU considers the inquiry a legitimate look at important tax rulings.

The panel discussion this Friday at 3:00pm will include the following government officials: Bob Stack, U.S. Deputy Assistant Secretary, International Affairs; Gert-Jan Koopman, Deputy Director-General State Aid, Directorate-General for Competition, European Commission; and Pierpaolo Rossi-Maccanico, European Commission.

I will be blogging about the panel later – but even better than reading about it will be attending and then reading the blog post!

For more information:

Continue reading “ABA Tax Section May Meeting — Teaching Tax Panel: Government Speakers Will Debate EU-US Controversy Over State Aid (Friday, May 6, 3:00 pm)”

Prince v. the IRS. Also, v. the French Government

Prince
Photo by Scott Penner. CC BY-SA 3.0

Probably the apex of my listening to Prince was my freshman year of college, where I thrilled to his virtuosity, to his funk, and to the way it flummoxed other music majors when I told them that I’d spent the morning listening to Prince. (I also got into at least one BBS argument about whether Prince could play jazz if he wanted to; I argued, naturally, that he could.) Though I’ve only listened to him occasionally since, he holds a special place in my heart and in my ears.

Yesterday, when I read that he’d died, my first thoughts were memories of my freshman year. Like any right-thinking American, my next were whether he’d ever had any significant interaction with the tax law.

A quick search answered that: he did! Continue reading “Prince v. the IRS. Also, v. the French Government”