The European Direct Tax Committee covers income-based tax aspects of European operations, including tax treaty matters, and develops the Institute’s positions and submissions to taxing authorities in European countries, as well as the European Union and OECD.
TEI Comments on European Commission's Recast of DAC Rules
On February 10, 2026, TEI submitted comments to the European Commission regarding its "EU rules on administrative cooperation in the field of taxation – recast" consultation. TEI's comments focused on the need to simplify the reporting process in the European Union and eliminate overlap among the various anti-tax avoidance regimes. TEI's comments were prepared under the aegis of its European Direct Tax Committee. Benjamin R. Shreck, TEI Tax Counsel, coordinated the preparation of TEI's comments.
TEI Comments on OECD Global Mobility Consultation
On December 22, 2025, TEI filed comments in response to the OECD's "Global Mobility of Individuals" consultation. TEI's comments included the need for a "one-stop-shop" approach to withholding and payment of wages and social security contributions for remote employees, prevention of "micro-PEs" when an employee works remotely from a separate jurisdiction, and the concomitant changes necessary to the OECD Transfer Pricing Guidelines. TEI's comments were prepared under the aegis of its European Direct Tax Committee.
OECD GIR XML Users' Guide - TEI Comments
On March 20, 2025, TEI submitted comments to an Expert-Sub Group of OECD Working Party 10 regarding the Working Party's GloBE Information Return XML Schema and User Guide, which was published on January 15, 2025. TEI's comments focused on the need for the OECD to provide more information about, and examples illustrating, the XML Schema and its validation rules. TEI's EMEA Direct Tax Committee led preparation of the comments. Benjamin Shreck, TEI Tax Counsel, coordinated the comment drafting process.
Pillar Two Reporting Simplification - TEI Comments
On December 17, 2024, TEI submitted comments to the OECD recommending it simplify the Pillar Two reporting requirements. TEI recommend the OECD help coordinate the timing of payments, adjustments, and refunds across jurisdictions, which would reduce MNE's compliance burden. Other recommendations included implementing a robust exchange of information system and a template information reporting form. TEI's comments were drafted by members of its U.S. International and EMEA Direct Tax Committees, along with the Tax Reform Task Force. Benjamin R.
EU Anti-Tax Avoidance Directive Review - TEI Comments
On September 10, 2024, TEI submitted comments to the European Commission regarding its review of its anti-tax avoidance directive, or "ATAD." TEI's comments focused primarily on whether the ATAD is still useful given the numerous subsequent anti-tax avoidance measures that have been introduced in the European Union, or will be introduced under OECD Pillar Two. TEI's comments were prepared by a working group of its EMEA Direct Tax Committee, led by Ralf Thelosen of Citco. Benjamin R. Shreck, TEI Tax Counsel, coordinated the preparation of TEI's comments.
EU Public CbCR Regulation - TEI Comments
On August 28, 2024, TEI submitted comments regarding the European Commission's draft implementing regulation for the Commission's public country-by-country ("CbC") reporting directive. TEI's comments focused on the need to clarify the scope and purpose of the information included in the public CbC reports, for consistency across EU Member States in implementing the regulation, and to use an XML schema instead of XBRL. TEI's comments were prepared under the aegis of its EMEA Direct Tax Committee. Benjamin R. Shreck, TEI Tax Counsel, coordinated the preparation of TEI's comments.
GloBE Information Return XML Schema - TEI Comments
On August 19, 2024, TEI submitted comments regarding the OECD's Draft User Guide for the GloBE Information Return XML Schema. TEI's comments emphasized the need for information return exchange agreements, a uniform XML schema and filing portal, and a secondary filing mechanism, among other things. TEI's comments were prepared under the aegis of its EMEA Direct Tax Committee and were led by Ralf Thelosen of Citco. Benjamin R. Shreck, TEI Tax Counsel, coordinated the preparation of TEI's comments.
United Nations International Tax Cooperation Framework - TEI Comments
On March 15, 2024, TEI submitted comments to the United Nations regarding its Terms of Reference for a United Nations Framework Convention on International Tax Cooperation. TEI's comments focused on the need for clear and principle based international tax rules, avoiding double taxation, and delineation of how international tax rules interact with local rules in each jurisdiction, among other things. TEI's letter was prepared under the aegis of its EMEA Direct Tax Committee. Benjamin R. Shreck, TEI Tax Counsel, coordinated the preparation of TEI's comments.
Revised Australian Public CbC Reporting - TEI Comments
On March 5, 2024, TEI filed comments with the Australian Treasury regarding the Australian government's revised Exposure Draft proposing to require certain multinational corporations with operations in Australia to make public country-by-country reporting information. TEI's comments addressed the inconsistency of the data Australia would require to be published with other country-by-country data, the need for flexibility in how companies prepare the data to be published, and the need to protect competitively sensitive data, among other things.
