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ОглавлениеJeffrey Owens
PRESENTATION 2 INTERNATIONAL TAX COOPERATION. A WORK IN PROGRESS
María Teresa Soler Roch
PRESENTATION 3 TAXATION OF THE DIGITAL ECONOMY: CHALLENGES FOR THE POLICY MAKERS
Julius Sen
Eva Andrés Aucejo
Franco Roccatagliata
PRESENTATION 6 COVID 19: THE CHALLENGES FOR INTERNATIONAL TAXATION
Piergiorgio Valente
PRESENTATION 7 THE CRUCIAL ROLE OF FISCAL ELECTRONIC DOCUMENTS FOR INCREASING TAX COMPLIANCE
Monica Schpallir Calijuri
Cristina García-Herrera Blanco
TITLE I TAXATION AND DIGITAL ECONOMY
David Deputy
The Global Tax Gap and Administrative Cost
Challenges of the Digital Economy
The Challenging Pace of Technology
Unlocking Value with Machine Learning
Unlocking Trust with Blockchain Technology
Tomorrow: Digital Cooperative Compliance
The Future of Money: Central Bank Digital Currencies
João Nogueira IBFD
3.Justifications put forward to support legislative measures and initiatives
3.1.Introduction
3.3.Overcoming the constraint created by the physical presence requirement
3.4.Restoring international tax justice by acknowledging the market
3.5.Reduce jurisdiction-shopping opportunities and profit shifting strategies by digital business
Eva Andrés Aucejo
3.1.About the shortcomings of the international tax order: standards of policymaking and rule-making on international tax law
3.2.Reluctance of some states to cooperate in tax matters
3.3.Lack of global authority on international taxation and global tax governance
3.4.Expansion of the material scope of international taxation
3.5.The codification and progressive development of public international law
Alessandro Valente
1.Taxation of multinational companies and digitalisation of the economy
2.Digitalisation in the OECD Action Plan
3.The OECD turning point: approval of the Unified Approach and the Blueprint (2020)
4.The Directives proposed by the European Union
5.The Introduction of a Tax on Digital Services in Italy
CHAPTER 5 VAT: GLOBAL TRENDS ADAPTING VAT/GST
Jesús Ramos Prieto
1.Introduction. VAT reform and the challenges of the digital economy
1.1.The new cross-border e-commerce regime as an advanced component of the 2016 VAT Plan
1.2.Reduced rates and electronic publications: Directive (EU) 2018/1713
2.Background on the taxation of e-commerce in the common VAT system (2003-2018)
2.1.Remote background: Treatment of the electronically supplied services between 2003 and 2014
2.1.3.Exclusion of tangible goods transactions (indirect e-commerce or off-line)
2.2.Immediate background: treatment of electronically supplied services between 2015 and 2018
2.2.2.Introduction of a second special system for services of EU suppliers to EU final consumers
3.Amendments to the VAT scheme of e-commerce approved in 2017 and 2019
3.1.Scope and context of the reform
3.2.Effective amendments from 2019
3.2.1.Rules for locating of the services supplied electronically to final consumers: introduction of a mixed scheme of taxation at source/destination for EU suppliers
3.3.Amendments effective from 1 July 2021
3.3.1.New scheme of intra-Community distance sales of goods
3.3.2.Redefining of the role of intermediaries in e-commerce transactions
3.3.3.More outstanding aspects of the new scheme for the importation of goods for final consumers
3.3.4.Extension of typology of the special scheme of the one stop shop (OSS)
Prof. María Amparo Grau Ruiz
II.The digitalized economy as a changing context
1.The availability of digital tools as a conditioning factor of legal evolution
2.Forecasts of massive use of digital tools by Spanish tax law
4.The control of tax incentives for sustainability as a first step
CHAPTER 7 THE NEW E-COMMERCE VAT IN 2021
José Miguel Martínez-Carrasco Pignatelli
II.Community legislation reforming vat on e-commerce
III.1.General idea
III.2.New system for intra-community distance sales of goods
III.3.Material and formal tax duties of intermediaries in e-commerce transactions
III.3.1.General idea
III.3.2.Electronic intermediaries in intra-community transactions
III.3.3.Electronic intermediaries in imports of goods
III.4.Main elements of the new tax regime for the importation of goods for final consumers
III.4.1.General idea
III.4.2.Removal of the exemption for low-value imports
III.4.4.Creation of the exemption for distance sales of imported goods
CHAPTER 8 TOWARDS A TAX ON A DIGITAL SERVICES: AN APPROACH FROM SPAIN
Juan José Hinojosa Torralvo
3.Controversial aspects of Spanish taxation
5.International references and Spanish bibliography
CHAPTER 9 CHARACTERIZATION AND VALUATION ISSUES IN DATA COLLECTION BUSINESS
Nathan Godts Hassens
Features of the digital economy vis-a-vis the international tax law
TITLE II TRANSFER PRICING IN BEPS: BALANCE, CONCER AND IMPROVEMENT GLOBAL PROPOSALS
CHAPTER 1 PILLAR ONE AND TRANSFER PRICING RULES: AN EXPERT CRITICAL ASSESSMENT
Professor William H. Byrnes
Inclusion of Investigation of a Uniform Approach to Withholding Tax
Substitution Of The “Dependent Agent” Term For The “Virtual Agency” Term
Exclusion Of Activities That Does Not Involve Human Intervention (Including Dependent Agents)
Exclusion Of A Server As A Location To Establish PE
The activity test to define the scope of Amount A
Jorge Marcelino y Mario Pires
CHAPTER 1 EUROPEAN UNION STUDIES ON CROSS-BORDER LITIGATION SYSTEMS IN TAX MATTER
Juan López Rodríguez
1.The purpose and main objectives of the Directive on Tax Dispute Resolution mechanism (DRM)
3.First stage of the procedure: submission and acceptance or rejection of a complaint
4.Second stage: Mutual Agreement Procedure
5.Third stage: towards a final decision by recourse to an advisory commission
5.1.Aim, role and creation of the advisory commission
5.2.The members of the advisory commission
5.3.The list of independent persons of standing
5.4.The rules of functioning of the advisory commission
5.5.Information, evidence and hearing
5.7.Alternative Dispute Resolution Commission
5.9.Interaction with national proceedings
5.9.1.Compatibility with national appeals
5.9.2.Interaction with other mutual agreement procedures
5.9.3.Exclusion of the procedure in case of penalties
5.9.4.Exclusion of the procedure when there is no double taxation
Alessandro Turina
2.1.Implementation
2.2.The Connection Between Monitoring, Dispute Prevention and Dispute Resolution
2.3.The Increased Role of Pre-Determinations and Safe Harbours
CHAPTER 3 TAXPAYERS’ RIGHTS IN TRANS-BORDER DISPUTES ON TAX MATTERS
Katerina Perrou
1.Introduction: a plethora of cross-border dispute resolution mechanisms
2.The rights of the taxpayer in trans-border dispute resolution mechanisms
M. Cruz Barreiro Carril
Andreu Olesti Rayo
1.The Financial Action Task Force and the recommendations against money laundering
2.The creation of instances complementing the action of the Financial Action Task Force
3.The Financial Information Units
II.The implementation of the financial action task force recommendations in the European Union
III.Control of the application of the directives by the court of justice of the European Union
–International Congress (2017): International Administrative Cooperation in Tax Matters and Governance. Barcelona, Thursday 26th January 2017
–International Congress 2017: The new trends and challenges of the International Tax Cooperation in the wave of the new political Scenario: United States (Trump) and UK (Brexit); Barcelona, Friday 27th January 2017
–Chronicle of international Congress. International Congress (2017): International Administrative Cooperation in Tax Matters and Governance. Barcelona, Thursday 26th January 2017
–International Meeting (2018). The Framework Agreement on International Tax Cooperation and Global Tax Governance (and other Global Tax Policy Models ongoing UN 2030 & Addis Ababa Action Agendas). (I Preparatory Work). Capacity Building- POLICY MAKING: Global Tax Policies on International Tax Cooperation and Global Tax Governance. ROME; Tuesday, 26th March 2018. Venue: UNIDROIT
–International Congress (2018): The efficiency of Tax Administrations, International Tax Cooperation and Governance. Institute for Fiscal Studies. Wednesday, 30th Madrid 2018
–International Congress (2018). Global Tax Administrations’ Efficiency: International Fiscal Cooperation and Governance. Complutense University of Madrid, Thursday 31st Madrid 2018
–Congress (2018). Global Tax Global Tax Administrations’ Efficiency: International Fiscal Cooperation and Governance Public Administration School of Catalonia. Barcelona 1st June 2018
–Book of Conferences Proceedings (2017). International Administrative Cooperation in tax matters and tax governance. International Congress (2017): International Administrative Cooperation in Tax Matters and Governance. Barcelona, Thursday 26th 27th January 2017
–International Tax Cooperation Congress (2019): Digital Economy, Transfer Pricing and Litigation in Tax Matters (MAPs + ADR). Ongoing UN 2030 and Addis Ababa Agendas. Illustrious Bar Association of Barcelona. 17th, 18th, January 2019. Barcelona
–International Congress (2021). “Policy-making on International Economic Law Conference” Toward a new Global Tax Treaty on International Tax Cooperation and Global Tax Governance (II Preparatory work). September 30th 2021. Faculty of Law University of Barcelona
–Policy-making on Taxation, International Tax Cooperation and Global Tax Governance, as crucial financial sources for Global Sustainability, International Project. Going on UN 2030; Addis Ababa Action Agendas, Doha Declaration and Monterry Consensus”