TEI Comments on OECD BEPS Action 6: Prevent Treaty Abuse

On April 8, 2014, TEI submitted comments to the OECD regarding its Public Discussion Draft on BEPS Action 6: Preventing the Granting of Treaty Benefits in Inappropriate Circumstances. The Institute’s comments generally focused on the need for objective rules if the OECD is to combat inappropriate “treaty shopping.” TEI recommended that such rules should be in the form of clearly defined “limitation-on-benefits” provisions in the OECD’s Model Tax Convention, and not in the form of a general anti-abuse rule.

TEI’s comments were prepared under the aegis of TEI’s European Direct Tax Committee, whose chair is Nick Hasenoehrl of Herbalife. Benjamin R. Shreck, TEI Tax Counsel, coordinated the preparation of TEI’s comments.

Download the submission.

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