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BEPS ACTION 11: Establish methodologies to collect …

COMMENTS RECEIVED ON PUBLIC DISCUSSION DRAFT BEPS ACTION 11: Establish methodologies to collect and analyse data on BEPS and the actions to address it 7 October 2014 3 Table of Contents Academia .. 5 Clausing, Kimberly (Reed College) .. 5 Hufbauer, Gary Clyde (Peterson Institute for International Economics) .. 7 Koch, Reinald and Oestreicher, Andreas (Katholische Universit t Eichst tt-Ingolstadt, Georg-August-Universit t G ttingen) .. 8 Langenmayr, Dominika (University of Munich) .. 13 Panteghini, Paolo (Universit degli Studi di Brescia) .. 16 Robillard, Robert (RBRT Inc.)

COMMENTS RECEIVED ON PUBLIC DISCUSSION DRAFT BEPS ACTION 11: Establish methodologies to collect and analyse data on BEPS and the actions to address it

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Transcription of BEPS ACTION 11: Establish methodologies to collect …

1 COMMENTS RECEIVED ON PUBLIC DISCUSSION DRAFT BEPS ACTION 11: Establish methodologies to collect and analyse data on BEPS and the actions to address it 7 October 2014 3 Table of Contents Academia .. 5 Clausing, Kimberly (Reed College) .. 5 Hufbauer, Gary Clyde (Peterson Institute for International Economics) .. 7 Koch, Reinald and Oestreicher, Andreas (Katholische Universit t Eichst tt-Ingolstadt, Georg-August-Universit t G ttingen) .. 8 Langenmayr, Dominika (University of Munich) .. 13 Panteghini, Paolo (Universit degli Studi di Brescia) .. 16 Robillard, Robert (RBRT Inc.)

2 , Universit du Qu bec Montr al).. 18 Van t Riet, Maarten and Lejour, Arjan (CPB) .. 26 Weichenrider, Alfons (Frankfurt University) .. 30 Zodrow, George R. and Diamond, John W. (Rice University) .. 32 Business organisations .. 38 Association of the Luxembourg Fund Industry .. 38 Business and Advisory Committee to the OECD (BIAC) .. 41 Confederation of British Industry (CBI) .. 44 Confederation of Netherlands Industry and Employers (VNO-NCW) .. 46 Federation of German Industries (BDI) .. 50 International Alliance for Principled Taxation .. 52 Irish Tax 57 Tax Executives Institute, Inc.

3 62 The Consultative Committee of Accountancy Bodies .. 69 United States Council for International Business (USCIB) .. 73 Consulting .. 81 KPMG .. 81 NERA Economic Consulting .. 85 PwC .. 89 RBS RoeverBroennerSusat GmbH .. 92 100 Ministry of Finance (Costa Rica) .. 100 State Administration of Taxation (People's Republic of China) .. 101 Non-government organisations/Civil society .. 107 BEPS Monitoring Group .. 107 Personal .. 117 Hamilton, Stuart .. 117 28 August 2004 To: ACTION 11 Focus Group From: Kimberly A. Clausing, Miller and Mintz Professor of Economics Reed College, Portland, OR, USA (email: Re: BEPS ACTION 11 Request for Input I.)

4 DATA SUGGESTIONS (See items and of the request.) In my work on multinational firm tax avoidance, I make extensive use of Bureau of Economic Analysis (BEA) surveys of multinational firms; the BEA surveys both headquartered firms (and their affiliates abroad) and foreign headquartered firms with affiliates in the United States. Both surveys are done on an annual basis. Multinational firms operating in the United States are required by law to respond to these surveys, but the survey information is not shared with tax or financial reporting authorities, and confidentiality is assured.

5 However, the aggregated data are publicly available, and they provide very useful information regarding the operations of multinational firms. Indeed, I use these data to address precisely the issues discussed in your request, regarding the increased disconnect between the location where value creating activities and investment take place and the location where profits are reported for tax purposes. For example, I have used these data to estimate the revenue costs to the government from income shifting abroad in the following papers. Multinational Firm Tax Avoidance and Tax Policy.

6 National Tax Journal 62(4). December 2009. 703-725. Update published as The Revenue Effects of Multinational Firm Income Shifting. Tax Notes. 28 March 2011. 1580-1586. Recommendation 1: I strongly recommend that other countries adopt similar surveys, and that the OECD consider templates to make sure that all such surveys include relevant financial statement information, such as foreign taxes paid, etc. The OECD could also provide links to surveys or house the resulting data on their web page. As with the BEA data, access should be free and unlimited. Tax information often involves confidentiality issues, but it would also be ideal to have data from tax returns in aggregated form.

7 If Finance/Treasury departments could release aggregated tax information on their multinational firm taxpayers, this would be quite useful for economic research on BEPS. Recommendation 2: Take steps to encourage government treasuries to release aggregated data on the operations of their multinational firm taxpayers, including data on their operations overseas, as well as their reported profits and tax payments by location. 5 For purposes of BEPS related analyses , financial reporting data are not, in present form, particularly helpful. This is for several reasons, including inadequate country breakdowns as well as discrepancies between financial and tax definitions of income.

8 Still, financial reporting information could be far more useful if taxpayers provided more information. While multinational corporations often voice concerns that revealing their financial details by country would also reveal their business practices, such concerns are vastly overstated. In fact, this overstatement is due in part to BEPS practices themselves, since financial information is increasingly divorced from the true details about the location of economic activity. And, regardless, the usefulness of such information by competitor firms is vastly overstated. Indeed, it would shed a great deal of light on BEPS issues if firms were required to disclose country by country reports of their income, deductible expenses, and tax payments.

9 Recommendation 3: The OECD should encourage standards that require country by country detail in financial disclosures. These disclosures should be shared with the public, and they should include information on profits and tax payments, reported by country location. II. METHODOLOGY SUGGESTIONS (See items , , and of the request.) I have done work considering the scale of multinational firm income shifting, and the likely effect on government corporate tax revenues. My methods are described in detail in the following papers, available on my web page, Multinational Firm Tax Avoidance and Tax Policy.

10 National Tax Journal 62(4). December 2009. 703-725. Update published as The Revenue Effects of Multinational Firm Income Shifting. Tax Notes. 28 March 2011. 1580-1586. It is clear that both national accounts data and balance of payments data are affected by BEPS behavior. There has been some good work by Gabriel Zucman that uses a variety of sources to tease out the scale of individual income tax avoidance, describing likely data distortions. However, it is thorny and complicated to tease out BEPS behavior in these types of data. Still, this is a project on my near-term agenda for the future.


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