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The BEPS 2.0 Amount A framework was originally designed as an alternative to unilateral DSTs and other source taxation measures to tax the digitalized economy as part of a deal that would reallocate taxation rights over digital company profits based on user location and engagement.
"In 2021, more than 140 countries agreed in principle to abandon DSTs if Pillar One could be implemented,” says Liam Smith, Director, Indirect Tax at Ernst & Young LLP. “They hit the pause button and that was effectively the end of DSTs as long as an agreement could be made.”
Yet adoption of the broader reform agenda has proven to be challenging. Pillar One was intended to lay the groundwork for Pillar Two, but the global minimum tax moved forward first – without securing US legislative approval. That reversal left the original framework incomplete, with Pillar One still unresolved.
In June, the US administration reached an agreement with other members of the G7 to exclude US parented groups from the Income Inclusion Rule and Undertaxed Profits Rule under Pillar Two, effectively permitting the US system for taxing globally low-taxed income to coexist alongside Pillar Two. This agreement will now be considered by the Inclusive Framework more broadly and attention will turn to reaching a more comprehensive deal to implement such a compromise. Manal Corwin, director of the OECD Centre for Tax Policy and Administration, told the European Parliament’s subcommittee on tax matters in May that discussions about Pillar One “will have to wait” until the US concerns about Pillar Two are resolved. “It’s important to stabilize and create certainty there,” Corwin said.
Ecommerce Europe, a trade group, in March warned the OECD about new risks that DSTs would again proliferate and asked for a new hiatus pending resolution of Pillar One issues.
“Allowing the expiration of the DST moratorium without follow-up and coordinated measures risks leading to the reintroduction of unilateral tax regimes such as DSTs at national level, creating double taxation, economic distortions, as well as risks of retaliatory tax and trade measures, resulting in uncertainty for businesses operating cross-border,” wrote Luca Cassetti, the group’s secretary general.
Many DSTs were originally framed as temporary measures, intended to sunset once a global deal was reached. “They were meant to fill a gap until Pillar One arrived,” says Michel Zeegers, a partner focusing on indirect tax issues at EY Belastingadviseurs B.V. in the Netherlands. “But with Pillar One stalling, countries moved ahead anyway and that’s why we’ve already seen DSTs implemented.”