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G7 throws support behind taxes on multinationals

Article date: 2021-06-11
Authors: Graham Murray Hugh Magee
More Info Contacts: Graham Murray Mathew McKay Hayden Roberts
Related AoE: Expertise>Tax; Expertise>International trade - customs and excise; Expertise>Information, communications and technology; Expertise>FinTech

The G7 has thrown its weight behind proposals to subject large multinationals to tax in countries where they do business and to a 15% global minimum tax rate.

​The G7 has thrown its weight behind proposals to subject large multinationals to tax in countries where they do business and to a 15% global minimum tax rate.​

If the larger group of countries that make up the G20 follow this lead then it is increasingly unlikely that a unilateral digital services tax (DST) will progress in New Zealand. The New Zealand Government has previously expressed a willingness to implement such a tax if international consensus is not reached or takes too long.

The G7, which comprises some of the world’s wealthiest nations, the United States, the United Kingdom, Canada, Japan, Germany, France and Italy, announced on 5 June 2021 that it had agreed to support:

These announcements relate to two proposals, known as BEPS (Base Erosion and Profit Shifting) “Pillar One” and “Pillar Two” respectively, which have been developed by the OECD “Inclusive Framework” – a body comprising 135 members from the OECD and G20 – and have been in the pipeline for some time now.

The Pillar One proposal is intended to counteract a perceived unfairness arising from multinationals that may generate significant revenues from sales in a given country, but pay comparatively low amounts of tax in that country.

Pillar Two is intended to prevent a “race to the bottom” in corporate tax rates where countries lower their corporate tax rates in order to attract multinationals to either transfer their headquarters or lucrative intellectual property assets to such countries.

The G7 announcements are thin on details. If the brief statements provided by the G7 are compared with the “Blueprints” for Pillar One and Pillar Two published by the OECD Inclusive Framework, the following observations can be made:

What happe​​ns next?

The Pillar One and Pillar Two proposals will be put to a meeting of the G20 Finance Ministers and Central Bank Governors in July this year for consideration.

A number of jurisdictions, including the UK, have introduced DSTs, which are intended to achieve broadly the same outcome as BEPS Pillar One. In their announcement, the G7 nations agreed on the need for appropriate coordination between the application of BEPS Pillar One and the removal of all DSTs.

The New Zealand Government has previously indicated it would introduce a DST if progress on Pillar One did not move swiftly enough. In light of the G7 announcement, and depending on the outcome of the G20 meeting in July, it is looking increasingly that New Zealand’s DST proposal may need to be abandoned.

If you have any questions about the matters raised in this article please get in touch with the contacts listed or your usual Bell Gully adviser.​​