The BEPS Monitoring Group
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The BEPS Monitoring Group
A group established to monitor the BEPS Action Plan for the reform of the taxation of transnational corporations

Monitoring measures to end base erosion and profit shifting by transnational corporations


Category
  • Action 1 4
  • Action 10 6
  • Action 11 1
  • Action 12 1
  • Action 13 1
  • Action 14 3
  • Action 15 3
  • Action 3 1
  • Action 4 3
  • Action 5 2
  • Action 6 5
  • Action 7 5
  • Action 8 8
  • Action 9 2
  • Action Plan 2
  • Digital Economy 1
  • Enlarged Framework 2
  • Unitary Taxation 5
  • minimum tax 1
Date
  • November 2013 2
  • January 2014 1
  • February 2014 1
  • April 2014 3
  • May 2014 2
  • June 2014 1
  • September 2014 1
  • October 2014 1
  • January 2015 3
  • February 2015 6
  • March 2015 1
  • May 2015 4
  • June 2015 4
  • October 2015 2
  • January 2016 3
  • March 2016 1
  • April 2016 1
  • July 2016 2
  • August 2016 3
  • September 2016 1
  • February 2017 1
  • March 2017 1
  • May 2017 1
  • June 2017 2
  • September 2017 2
  • October 2017 2
  • February 2018 2
  • June 2018 2
  • September 2018 3
  • October 2018 1
  • December 2018 1
  • February 2019 1
  • March 2019 2
  • May 2019 2
  • September 2019 1
  • November 2019 2
  • December 2019 1
  • March 2020 1
  • June 2020 1
  • October 2020 2
  • December 2020 1
  • March 2021 2
  • April 2021 1
  • July 2021 1
  • October 2021 1
  • February 2022 2
  • March 2022 1
  • April 2022 1
  • June 2022 2
  • August 2022 1
  • January 2023 3
  • July 2023 1
  • February 2024 1
Submission to OECD on the Multilateral Instrument

The BMG submitted on 30 June 2016 these Comments on Action 15 on the proposed Multilateral Instrument which will amend existing tax treaties to implement changes agreed in the BEPS project.

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Action 15BEPS Monitoring GroupJuly 20, 2016BEPS, multinational companies, OECD request for comments, tax treaties, taxationComment
Treaty Entitlement of Non-Collective Investment Vehicle Funds

The BMG has now made a submission to the consultation on Non-CIV Funds, under BEPS Action 6 on preventing the granting of treaty benefits in inappropriate circumstances.

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Action 6BEPS Monitoring GroupApril 24, 2016BEPS, BMG, multinational companies, OECD request for comments, tax evasion and avoidanceComment
Submission on US Draft Regulations on Country by Country Reporting

The BMG has now made a submission to the US Treasury on its draft Regulations for Country by Country Reporting.

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BEPS Monitoring GroupMarch 2, 2016BEPS, G20 leaders, multinational companies, OECD, tax evasion and avoidance, taxationComment
Submission to the UK Parliament’s All-Party Group

We have made a submission to the an All-Party Parliamentary Group in the UK, chaired by Margaret Hodge M.P., former chair of the Public Accounts Committee.

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BEPS Monitoring GroupJanuary 27, 2016Comment
Submission to the European Commission on the CCCTB

The BEPS Monitoring Group has made a submission to the European Commission in its public consultation on the Common Consolidated Corporate Tax Base.

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BEPS Monitoring GroupJanuary 16, 2016multinational companies, unitary taxationComment
Submission to UK Treasury Consultation on Deduction of Interest Expense

The BEPS Monitoring Group has made a submission to the UK Treasury in its consultation on limiting the deductibility of interest expense.

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Action 4BEPS Monitoring GroupJanuary 16, 2016Lux Leaks, multinational companies, tax avoidance, tax evasion and avoidanceComment
Overall Evaluation

Overall Evaluation of the G20/OECD Base Erosion and Profit Shifting (BEPS) Project.

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BEPS Monitoring GroupOctober 5, 2015Comment
The BEPS project: End of the first phase

The publication today of the final reports of the G20/OECD project on Base Erosion and Profit Shifting (BEPS) marks an important milestone on the road to reform of the international system for taxation of multinational enterprises (MNEs).

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BEPS Monitoring GroupOctober 5, 2015Comment
Comments on BEPS Action 8: Hard-to-Value Intangibles

The BMG has now published its comments on the Discussion Draft under Action 8, which proposes revised text for the OECD Transfer Pricing Guidelines on Hard to Value Intangibles.

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Action 8BEPS Monitoring GroupJune 18, 2015Intangibles, multinational companies, OECD request for comments, tax evasion and avoidance, taxationComment
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