Attribution of Profits to Permanent Establishments

Attribution of Profits to Permanent Establishments
Author: Michael Lang
Publisher: Linde Verlag GmbH
Total Pages: 157
Release: 2020-04-08
Genre: Law
ISBN: 3709410576

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Attribution of Profits to Permanent Establishments: Issues and Developments The profit attribution to permanent establishments is one of the most controversial topics in international tax law. In recent years it was subject to various changes based on the introduction of the “Authorized OECD Approach” in 2008 and 2010, the outcomes of Final Report on OECD BEPS Action 7 and the Final Report on “Additional Guidance on the Attribution of Profits to a Permanent Establishment under BEPS Action 7” from 2018 (with the previous Discussion-Drafts). This publication discusses the most important issues and recent developments related to the attribution of profits to permanent establishments. Starting with an in-depth analysis on the commonalities and differences between the profit attribution provisions in modern double tax treaties (ie Art 7 AOA vs Art 9 OECD/UN Models), it further deals with topics such as profit attribution to PEs and PE exemptions (Art 5 para 4), profit attribution to agency PEs (Art 5 para 5 and 6), and profit attribution to a "significant economic presence" and to market states. This book is based on the outcomes of the presentations and discussions held during the WU Transfer Pricing Symposium that took place in October 2019 at the WU Vienna University of Economics and Business. The authors, apart from providing a theoretical background to the discussed issues, also present case studies that show how certain issues can be approached in practice. Every chapter ends with a summary of the opinions on the issues at stake of representatives of tax administrations, multinationals and tax advisories, which completes this essential practical guideline.

The Attribution of Profits to Permanent Establishments

The Attribution of Profits to Permanent Establishments
Author: Raffaele Russo
Publisher: IBFD
Total Pages: 488
Release: 2005
Genre: Business enterprises
ISBN: 907607884X

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"The attribution of profits to permanent establishments (PEs) is probably one of the most complex subjects of the international tax arena. The interaction of treaty rules and domestic legislations sometimes leads to unacceptable results such as double taxation or double non-taxation. This book compares the tax treatment of cross-border dealings between different parts of the same enterprise in several countries."--Extracted from publisher website on June 29, 2016

Attribution of Profits to Permanent Establishments in the OECD-View

Attribution of Profits to Permanent Establishments in the OECD-View
Author: Thomas Eulenpesch
Publisher: GRIN Verlag
Total Pages: 34
Release: 2012-09-06
Genre: Business & Economics
ISBN: 3656268657

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Seminar paper from the year 2012 in the subject Business economics - Accounting and Taxes, Rhine-Waal University of Applied Sciences, language: English, abstract: In my scientific writing I will write about the attribution of profits to Permanent Establishments in accordance with the updated OECD Model Tax Convention and the OECD Report on the attribution of profits to Permanent Establishments in the Versions of 2008 and 2010. First I will start with the definition of the Permanent Establishment in the German law and according to the OECD Model Tax Convention. Afterwards I will continue with the allocation of Profits to the Permanent Establishment by the two step analysis and the different transfer price methods. Additionally I will write about the hypothetical independent enterprises and special regulations for Banks, the trading of financial instruments and Insurance companies.

Attribution of Profits to Permanent Establishments

Attribution of Profits to Permanent Establishments
Author: Organisation for Economic Co-operation and Development
Publisher:
Total Pages: 73
Release: 2001
Genre:
ISBN:

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Currently, there is a lack of consensus amongst OECD Member countries as to how profits should be attributed to a permanent establishment (PE). As a first step in remedying this situation a working hypothesis has been developed as to the preferred approach for attributing profits to the PE. The basis for the working hypothesis is to examine how far the approach of treating the PE as a hypothetical distinct and separate enterprise can be taken and how the guidance in the OECD Transfer Pricing Guidelines could be applied, by analogy, to attribute profits to a PE. This discussion draft contains the results of testing the working hypothesis in general (Part I) and to PEs of banks (Part II). Public comments are invited in order to assist in the development of an OECD consensus on the attribution of profits to a PE.

Five Core Problems in the Attribution of Profits to Permanent Establishments

Five Core Problems in the Attribution of Profits to Permanent Establishments
Author: R.S. Collier
Publisher:
Total Pages:
Release: 2019
Genre:
ISBN:

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The rules regulating the attribution of profit to permanent establishments (PEs) are a fundamental feature of the existing international tax system yet are beset by a multitude of problems. This article identifies five "core" problems with these rules: (1) the absence of a single standard for PE profit attribution; (2) conceptual and practical problems arising in the application of the Authorised OECD Approach (AOA); (3) new pressures arising as a result of the changes made to the PE threshold rules by the BEPS Project; (4) the failure to deal with the uncertainties between the transfer pricing rules and the PE attribution rules in the aftermath of BEPS; and (5) a raft of new challenges arising from the work on the digitalization of the economy. To a large degree, these issues are symptomatic of the problems faced by the international tax system as a whole. This article analyses the source, nature and impact of these core problems, before concluding with some brief thoughts on potential solutions.

The Attribution of Profits to Permanent Establishments : Testing the Interaction of Domestic Taxation Laws and Tax Treaties in Practice

The Attribution of Profits to Permanent Establishments : Testing the Interaction of Domestic Taxation Laws and Tax Treaties in Practice
Author: C.M. Black
Publisher:
Total Pages:
Release: 2017
Genre:
ISBN:

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The adoption of the "authorised OECD approach" to the attribution of profits to a permanent establishment (PE) under the business profits article of the OECD Model Tax Convention on Income and Capital has failed to produce uniformity given the persistence of the alternative relevant business activity approach. Through the analysis of a hypothetical case study involving asset dealings between a foreign PE and the enterprise head office, this article examines the interaction of the domestic law and treaty practice of two jurisdictions that are representative of different approaches to PE profit attribution, the UK and Australia. This study of intra-enterprise dealings involving inventory, depreciating assets and capital assets reveals the potential for mismatches in taxation outcomes, both overlaps and gaps, even in relation to these relatively straightforward transactions.

Cross-Border Taxation of Permanent Establishments

Cross-Border Taxation of Permanent Establishments
Author: Andreas Waltrich
Publisher: Kluwer Law International B.V.
Total Pages: 362
Release: 2016-04-20
Genre: Law
ISBN: 9041168389

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The permanent establishment (PE) is a legal form of cross-border direct investment whereby a business presence is maintained as an integral part of the foreign investor. Due to the growing intensity and complexity of international business relations, the PE defi¬nition and the allocation of profi¬ts between head units and PEs have become highly contentious, especially from the perspectives of the major emerging economies of the BRIC countries (Brazil, Russia, India, and China). Unsurprisingly, the potential for tax avoidance and the scrutiny of tax authorities have increased enormously. Against this background, this work illustrates and compares the OECD Model Tax Convention with country-specifi¬c source taxation rules, focusing on possible tax system changes and offering reform proposals. Emphasizing the taxable implications of the various rules upon country-speci¬fic PE concepts, the author’s treatment covers such issues and topics as the following: – the PE de¬finition of the OECD MC and from the perspective of selected countries; – allocation of business pro¬fits under the Authorised OECD Approach (AOA); – avoidance of PE status; – implementation of a service PE proposal; – construction site PEs established by subcontractors; – existence of an agency PE; and – the OECD project on Base Erosion and Profi¬t Shifting (BEPS). The author uses simulated cross-border national and treaty cases to highlight qualifi¬cation conflicts, thus reinforcing his detailed discussion of source taxation rules of business profi¬ts and relevant case law in Germany, the United States, and the BRIC states. There is also a checklist detailing how companies can avoid unintentionally setting up a PE. The author’s deeply informed proposals provide much-needed guiding tax criteria and open the way to greater feasibility and transparency in PE taxation. Because the defi¬nition of PEs has enlarged and the treatment of profi¬t allocation has become more complex, the clari¬fication of the PE concept presented in this book is of inestimable importance for lawyers, of¬ficials, policymakers, and academics concerned with international business taxation in any jurisdiction.

Attribution of Profits to Agency Permanent Establishments : a Reconsideration of the Arm's Lenght [i.e. Length] Criterion?

Attribution of Profits to Agency Permanent Establishments : a Reconsideration of the Arm's Lenght [i.e. Length] Criterion?
Author: D.J. Jiménez-Valladolid de L'Hotellerie-Fallois
Publisher:
Total Pages:
Release: 2016
Genre:
ISBN:

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According to the OECD report on the attribution of profits to permanent establishments (PEs), the attribution must be based on the so-called "authorized approach", which implies the analogous application of the OECD Transfer Pricing Guidelines to the transactions between head office and PE. However, in the case of the agency PE, the application of the Guidelines is complicated. This article proposes several alternative methods to attribute profits to agency PEs.

Attribution of Profits to a Permanent Establishment

Attribution of Profits to a Permanent Establishment
Author: R. Rawal
Publisher:
Total Pages:
Release: 2019
Genre:
ISBN:

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The Indian government has recently released a discussion draft report on Attribution of Profits to PE. The report is of significant importance and represents an important development in international taxation. It takes into consideration the approach of the OECD, European Union and United States on attribution of profits and recommends changes to the Indian domestic law.

Attribution of Profits to Permanent Establishments - Part 1

Attribution of Profits to Permanent Establishments - Part 1
Author:
Publisher:
Total Pages:
Release: 2011
Genre:
ISBN:

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QUESTIONS: I. Issue One: Do the Revenue Authorities of your country agree with the Authorised OECD Approach for profit attribution to permanent establishments (PEs) or do they attribute profits to PEs on some global formulary or profit split approach, regardless of the functional, asset and risk profiles of the PEs? II. Issue Two: Do the Revenue Authorities of your country treat a subsidiary of a foreign company, operating as a captive service provider, say providing services of contract software development; back office; contract or toll manufacturing, etc., on a cost plus basis, as "fixed place of business PE" of the foreign company, solely on the ground that the premises of such subsidiary is at the disposal of the foreign company? III. Issue Three: If the answer to Issue Two is in the affirmative, how would the Revenue Authorities of your country attribute profits to such PE under any one or both of the following situations: a. None of the employees of the foreign company were present in your country for any considerable period of time; b. Some of the employees of the foreign company were present in your country for a considerable period of time? IV. Issue Four: Do the Revenue Authorities of your country take into account the concept of "significant people functions" in the context of "dependent agency PEs", for the purposes of attributing profits to such PEs in excess of the remunerations received by the local agents, which create such "dependent agency PEs"? V. Issue Five: Do the Revenue Authorities of your country accept the method of "Berry Ratio" for the purposes of attributing profits to "dependent agency PEs", in situations where imputed remuneration based on value of goods, say return on sales, produce extremely high results of return on operating costs, primarily due to significantly high value of goods, as compared to low levels of operating costs?