The OECD has launched a public consultation on two consultation documents relating to tax certainty aspects of Amount A under Pillar One. The deadline for comments is 10 June 2022.
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Tax challenges of digitalisation: OECD invites public input on tax certainty aspects of Amount A under Pillar One
27/05/2022 – As part of the ongoing work of the OECD/G20 Inclusive Framework on BEPS to implement the Two-Pillar Solution to Address the Tax Challenges Arising from the Digitalisation of the Economy, the OECD is seeking public comments on two consultation documents relating to tax certainty: a Tax Certainty Framework for Amount A and Tax Certainty for Issues Related to Amount A under Pillar One.
A central element of Amount A is an innovative Tax Certainty Framework for Amount A which guarantees certainty for in-scope groups over all aspects of the new rules, including the elimination of double taxation. This eliminates the risk of uncoordinated compliance activity in potentially every jurisdiction where a group has revenues, as well as a complex and time-consuming process to eliminate the resulting double taxation. The Tax Certainty Framework incorporates a number of elements designed to address different potential risks posed by the new rules:
Furthermore, a tax certainty process for issues related to Amount A will ensure that in-scope Groups will benefit from dispute prevention and resolution mechanisms to avoid double taxation due to issues related to Amount A (e.g. transfer pricing and business profits disputes), in a mandatory and binding manner. An elective binding dispute resolution mechanism will be available only for issues related to Amount A for developing economies that are eligible for deferral of their BEPS Action 14 peer review and have no or low levels of MAP disputes.
The Inclusive Framework on BEPS has agreed to release the public consultation documents on a Tax Certainty Framework for Amount A (également disponible en français) and Tax Certainty for Issues Related to Amount A (également disponible en français) in order to obtain public comments, but this does not reflect consensus regarding the substance of the documents. The stakeholder input received will assist members of the Inclusive Framework on BEPS in further refining and finalising the relevant rules.
Interested parties are invited to send their written comments no later than 10 June 2022. Instructions for submitting comments can be found in each consultation document. Commentators are asked to submit comments separately for each consultation document, and not to combine them into a single submission.
Further information on the two-pillar solution for addressing the tax challenges arising from digitalisation and globalisation of the economy is available at https://oe.cd/bepsaction1.
For further information or inquiries, please contact tfde@oecd.org.