The BMG has submitted Comments on Treaty Abuse Follow-Up to the OECD proposals under Action 6 of the BEPS Project: Preventing Treaty Abuse.
Read MoreThe BMG has published its comments on the OECD proposals on Preventing Artificial Avoidance of Permanent Establishment Status, under Action 7 of the BEPS Project, which deal with the criteria for taxable presence of a foreign company.
Read MoreOur OECD BEPS Scorecard published today evaluates the progress made by the OECD in the first year of its project to deal with Base Erosion and Profit Shifting (BEPS) – in plainer words tax avoidance by multinational companies.
Read MoreWe have today submitted our submission to the OECD Consultation under Action 11 of the BEPS Action Plan, Establishing Methodologies to Collect and Analyse Data on BEPS and the Actions to Address It.
Read MoreCivil society organizations, including those coordinated through the Global Alliance for Tax Justice, have agreed the text of a Letter to the OECD Committee on Fiscal Affairs.
Read MoreThe BMG’s submission to the OECD on its proposal on Hybrid Mismatch Arrangements.
Read MoreThe BMG today publishes its submission to the OECD discussion paper on Hybrid Mismatch Arrangements (HMAs).
Read MoreThe BMG has submitted its response to the OECD discussion draft on Addressing the Tax Challenges of the Digital Economy: BMG Digital Economy submission 2014.
Read MoreThis is BMG submission to the OECD Consultation on Preventing the Granting of Treaty Benefits in Inappropriate Circumstances.
Read More