Seventh annual progress report of the Inclusive Framework
The Progress Report describes the progress made to deliver on the mandate of the OECD/G20 Inclusive Framework, covering the period from September 2022 to September 2023.
With respect to Pillar One, the Progress Report states that all the substantive components required for implementing Amount A through the MLC have undergone public consultations, yielding valuable input from stakeholders. Although a text of the MLC has been made public, it includes footnotes noting where some jurisdictions have raised concerns regarding specific provisions in it. Efforts are currently underway to address these concerns, with the goal of swiftly preparing the MLC for signature.
With respect to Amount B of Pillar One, which is intended to provide for fixed returns for baseline marketing and distribution activities, the Inclusive Framework recently released the Amount B framework for a second public consultation and invited stakeholder input on a number of aspects that will be subject to further work. The objective is to finalize Amount B by the end of the year with a view to incorporating key aspects into the OECD Transfer Pricing Guidelines by January 2024.
On Pillar Two, the Progress Report notes that the implementation package has been released in three stages. The first segment was made public in December 2022 and encompassed guidance on Safe Harbors and Penalty Relief, introducing a transitional safe harbor based on Country-by-Country Reports and a framework for development of permanent safe harbors.3 In February 2023, a package of Administrative Guidance was released, providing further information on rule operations, including transition rules and the design of Qualified Domestic Minimum Top-up Taxes (QDMTT).4 In July 2023, another guidance package was issued, which included two new safe harbors, one permanent for jurisdictions implementing QDMTT, and another transitional undertaxed profits rule (UTPR) Safe Harbor providing relief from UTPR application until the end of 2025. This package also included detailed administrative guidance on currency conversion rules, the substance-based income exclusion, and the treatment of tax credits.5 All this guidance from the past year will be consolidated into a revised version of the commentary, which will replace the original Commentary issued in March 2022 and is scheduled for release later in 2023.
The Progress Report indicates that the Inclusive Framework will now develop a peer review process that will allow jurisdictions and stakeholders to identify the "qualified" rules of jurisdictions and ensure coordination among implementing jurisdictions. The Inclusive Framework will work on tax certainty and explore frameworks for dispute resolution and also will develop a model competent authority agreement to facilitate the automatic exchange of GloBE information as well as IT-solutions to support the exchange of information, in particular a dedicated XML schema.
Regarding the 15 Actions under the original BEPS project, the Progress Report states that steady progress has continued, in particular on the implementation of the four BEPS minimum standards. Among other things, the Progress Report indicates that 319 preferential tax regimes have been reviewed under Action 5 (Harmful Tax Practices) and almost 50,000 tax rulings have been exchanged among members of the Inclusive Framework. On Action 6 (Tax Treaty Abuse), as of 1 September 2023, the Multilateral Instrument has been signed by 100 jurisdictions and effectively modifies approximately 1,200 treaties concluded among the 83 jurisdictions that have ratified, accepted or approved it. On Action 13 (Country-by-Country (CbC) reporting), the Progress Report notes that more than 110 jurisdictions have already introduced CbC reporting legislation and that work on the 2020 review of BEPS Action 13 is expected to resume in the second half of 2023.
On Action 14 (Mutual Agreement Procedure (MAP)), efforts are ongoing to align tax treaties, MAP policy, and MAP practice of Inclusive Framework member jurisdictions with the Action 14 minimum standard. The Action 14 peer review process, along with the data reported in the MAP Statistics from 2023 onward, aims to promote global compliance with the Action 14 standard. 6
The Progress Report also notes progress in other BEPS Action items over the past year, with particular attention to Action 1 (Tax Challenges of the Digitalisation of the Economy), noting developments on addressing challenges in collecting value-added taxes (VAT) on digital trade, and Action 11 (BEPS Data Analysis), where the Corporate Tax Statistics database continues to expand its coverage with more up-to-date CbC report data. The Progress Report indicates that the fifth edition of the Corporate Tax Statistics report, covering more than 160 jurisdictions, will be released in the second half of 2023, feature data from more than 7,400 MNEs based on reporting from more than 50 jurisdictions and include two years of data (2019 and 2020).