you're reading...
Economic and Social Policies, PUBLICATIONS

Digital taxation: State of play and way forward

Written by Marcin Szczepański,

© Alfa Photo / Shutterstock.com

The digitalisation of the economy and society poses new tax policy challenges. One of the main questions is how to correctly capture value and tax businesses characterised by a reliance on intangible assets, no or insignificant physical presence in the tax jurisdictions where commercial activities are carried out (scale without mass), and a considerable user role in value creation. Current tax rules are struggling to cope with the emerging realities of these new economic models.

The European Union (EU) and other international bodies have been discussing these issues for some time. In March 2018, the EU introduced a ‘fair taxation of the digital economy’ package. It contained proposals for an interim and long-term digital tax. The European Parliament supported both proposals, widening their scope and coverage and backing integration of digital tax into the proposed Council framework on corporate taxation. However, there was no immediate political agreement in the Council. As finding a global solution at Organisation for Economic Co-operation and Development (OECD) level or a coordinated EU approach was not yet feasible, some Member States started implementing or designing national digital taxes. As an indication of difficulties around this issue, the introduction of these taxes in France heightened trade tensions between the EU and the United States of America, with the latter favouring a ‘voluntary’ tax system – a position which may prevent a global agreement.

Over the last few years, the OECD has nevertheless made progress on developing a global solution and proposed a two-pillar system: while the first pillar (unified approach) would grant new taxation rights and review the current profit allocation and business location-taxation rules, the second (GloBE) aims to mitigate risks stemming from the practices of profit-shifting to jurisdictions where they can be subjected to no, or very low, taxation. The EU is committed to supporting the OECD’s work, but if no solution is found by the end of 2020, it will again make a proposal for its own digital tax.


Read the complete briefing on ‘Digital taxation: State of play and way forward‘ in the Think Tank pages of the European Parliament.

Discussion

Trackbacks/Pingbacks

  1. Pingback: Digital taxation: State of play and way forward | Vatcompany.net - March 20, 2020

Leave a Reply

Fill in your details below or click an icon to log in:

WordPress.com Logo

You are commenting using your WordPress.com account. Log Out /  Change )

Google photo

You are commenting using your Google account. Log Out /  Change )

Twitter picture

You are commenting using your Twitter account. Log Out /  Change )

Facebook photo

You are commenting using your Facebook account. Log Out /  Change )

Connecting to %s

This site uses Akismet to reduce spam. Learn how your comment data is processed.

Download the EPRS App

EPRS App on Google Play
EPRS App on App Store
What Europe Does For You
EU Legislation in Progress
Topical Digests
EPRS Podcasts

Enter your email address to follow this blog and receive notifications of new posts by email.

Join 3,202 other followers

RSS Link to Members’ Research Service

Disclaimer and Copyright statement

The content of all documents (and articles) contained in this blog is the sole responsibility of the author and any opinions expressed therein do not necessarily represent the official position of the European Parliament. It is addressed to the Members and staff of the EP for their parliamentary work. Reproduction and translation for non-commercial purposes are authorised, provided the source is acknowledged and the European Parliament is given prior notice and sent a copy.

For a comprehensive description of our cookie and data protection policies, please visit Terms and Conditions page.

Copyright © European Union, 2014-2019. All rights reserved.

%d bloggers like this: