A presentation was made on behalf of the BEPS Monitoring Group by Professor Kerrie Sadiq, to the first meeting of the Enlarged Framework of the OECD Committee on Fiscal Affairs, in Kyoto (Japan) on 29 June 2016.
Read MoreThe BMG has now made a submission to the consultation on Non-CIV Funds, under BEPS Action 6 on preventing the granting of treaty benefits in inappropriate circumstances.
Read MoreThe BMG has now made a submission to the US Treasury on its draft Regulations for Country by Country Reporting.
Read MoreThe BEPS Monitoring Group has made a submission to the UK Treasury in its consultation on limiting the deductibility of interest expense.
Read MoreThe BMG has now published its comments on the Discussion Draft under Action 8, which proposes revised text for the OECD Transfer Pricing Guidelines on Hard to Value Intangibles.
Read MoreUnder international tax rules, whether a foreign company can be taxed on profits earned from activities in a country depends on whether it has a Permanent Establishment (PE).
Read MoreThe BMG has now published its comments on the Revised Discussion Draft under Action 6, Prevent Treaty Abuse.
Read MoreThe BMG, together with the Global Alliance for Tax Justice, has prepared a statement of Key Points on Tax Issues, summarizing our views on the BEPS Action Plan proposals to date.
Read MoreThe BMG has submitted its comments on the proposals under the BEPS Project Action 8 for Revisions to Chapter VIII of the Transfer Pricing Guidelines on Cost Contribution Arrangements.
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