Abstract

Under the guise of compelling multinational enterprises (MNEs) to pay their fair share of income taxes, the OECD and other multinational agencies have introduced proposals to prevent MNEs from eroding the income tax base of developed economies by continuing to shift income artificially to low or zero tax jurisdictions. Some of the proposals have garnered substantial multinational support, including recent support from the new U.S. presidential administration for a global minimum tax. This Article reviews many of those international proposals. The proposals tend to concentrate the incremental tax revenue from the prevention of base erosion into the treasuries of the developed economies although the minimum tax proposal known as GloBE encourages low tax countries to adopt the minimum rate. The likelihood that and zero tax countries will transition successfully to imposing the minimum tax seems uncertain.
 Developed economies lack a compelling moral claim to incremental revenue so this Article argues that collecting a fair tax from MNEs and other taxpayers should be a goal that is independent of claims on that revenue. The Article maintains that to prevent tax base erosion, the income tax base and administration must be uniform across national borders and the Article recommends applying uniform rules administered by international taxing agency. The Article explores the convergence of tax rules under such an international taxing agency.
 Distribution of tax revenue by the international agency should follow contextualized need. In addressing the conundrum of absolute poverty in the undeveloped and developing world vis á vis relative poverty in the developed world, the Article proposes that the taxing agency should distribute all incremental revenue from the uniform tax where the need is greatest to ameliorate absolute poverty and improve living standards without regard to income source. The location of income production, destination of the produced goods and services generating the income, and residence of the income producers should not determine the tax revenue distribution. Rather, the use of contextualized need for distribution determination will enable developed economies to receive sufficient revenue to maintain their existing infrastructures and governmental services. Developed economies should forego new revenue, for which they have not budgeted, in favor of improving worldwide living conditions for all. The proposals for uniform, worldwide taxation and revenue sharing based on contextualized need are admittedly aspirational and utopian but designed to encourage debate on sharing of resources in our increasingly globalized world.

Highlights

  • International tax reform projects, including the OECD1 Base Erosion and Profit Shifting (BEPS) iterations, seek to collect additional tax from multi-national enterprises (MNEs) under the rubric of fairer taxation

  • The proposals tend to concentrate the incremental tax revenue from the prevention of base erosion into the treasuries of the developed economies the minimum tax proposal known as Global Anti-Base Erosion (GloBE) encourages low tax countries to adopt the minimum rate

  • This Article maintains that the need to prevent taxpayers from avoiding payment of a fair tax amount should not result in additional tax revenue primarily for the economically developed economies

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Summary

INTRODUCTION

International tax reform projects, including the OECD1 Base Erosion and Profit Shifting (BEPS) iterations, seek to collect additional tax from multi-national enterprises (MNEs) under the rubric of fairer taxation. Unless some innovative source concept might compensate for imbalances in opportunities and resources worldwide by imputing more level distribution of opportunities and resources and taxing income according to that imputed source, a different manner of allocating worldwide taxing opportunity is critical to enable nonaffluent nations and regions to develop and provide a reasonable standard of living to all people free from need It would be a significant conceptual shift to jettison the competitive concept of source as the primary basis for international income taxation and adopt the more nuanced and collaborative needs-based system this Article proposes. See Regulation 952/2013 of the European Parliament and of the Council of 9 October 2013 Laying Down the Union Customs Code 2013 O.J. (L269) 1

45 See Op-Ed
78 Tax Increment Financing
BEPS and Other Projects
GloBE – Minimum Tax and Base Erosion
Tax Base Allocation and Apportionment
Findings
CONCLUSION
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