cover image: Research 211 Paper - The Implications of Treaty Restrictions of Taxing Rights on Services,

Research 211 Paper - The Implications of Treaty Restrictions of Taxing Rights on Services,

14 Oct 2024

We analyse the restrictions on source taxation of services in tax treaties, particularly those based on the model of the Organisation of Economic Co-operation and Development (OECD), and show that their spread has been accompanied by a widening deficit in services trade of developing countries, while the weakening of their attempts to protect their tax base through withholding taxes has resulted i. [...] Significantly, the widening of the net deficit has been more marked for upper-middle income countries, although the data must be treated with caution due to distortions in the attribution and valuation of services income for tax reasons.7 However, the data suggests that this is due to payments for international transport, as well as for telecommunications and computer services, where they heavily. [...] The issue of allocation of taxing rights came much more into focus in the second phase of the BEPS project from 2018, when it began to seriously address the implications for international tax of digitalisation and globalisation of the economy. [...] At the root of all these problems is the failure of the tax treaty models to deal adequately with taxation of income derived from a country from the performance of services. [...] The importance of a longer-term solution is evident from the priority given to negotiations through the UN for measures on taxation of income ‘derived from the provision of cross-border services in an increasingly digitalized and globalized economy’.31 This should entail a shift to a new paradigm, moving away from the one-sided perspectives fostered by the outdated concepts of residence and source.

Related Organizations

Pages
80
Published in
Switzerland

Table of Contents