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
Administrative Approaches to Avoiding and Resolving Transfer Pricing Disputes

The BMG has made a submission to the OECD public consultation on possible revisions to Chapter IV of the OECD Transfer Pricing Guidelines on Administrative Approaches to Avoiding and Resolving Transfer Pricing Disputes. It is available here. 

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BEPS Monitoring GroupJune 26, 2018Transfer Pricing, simplification, developing countriesComment
Special Considerations for Intra-Group Services

The BMG has submitted comments to the OECD on its public consultation on Revision of Chapter VII of the OECD Transfer Pricing Guidelines on Special Considerations for Intra-Group Services.

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BEPS Monitoring GroupJune 26, 2018Comment
Submission to the UK Treasury consultation on a Royalties Withholding Tax

The BMG has made a submission to the UK Treasury consultation on a Royalties Withholding Tax.

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Action 1BEPS Monitoring GroupFebruary 26, 2018multinational companies, tax avoidance schemes, tax evasion and avoidance, United Kingdom Comment
Corporate Tax and the Digital Economy

The BMG has made a submission to the UK Treasury consultation on Corporate Tax and the Digital Economy.

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Action 1, Digital Economy, Unitary TaxationBEPS Monitoring GroupFebruary 23, 2018BMG, multinational companies, unitary taxation Comment
Tax Challenges of the Digital Economy

The BMG has made a new submission on Tax Challenges of the Digital Economy in response to the Request for Comments by the OECD in connection with the work of the Task Force on the Digital Economy, preparing a report for the G20.

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Action 1, Unitary TaxationBEPS Monitoring GroupOctober 18, 2017BEPS, multinational companies, tax avoidance, unitary taxationComment
Offshore Indirect Transfers of Assets

The BMG has now submitted its comments on the discussion draft from the Platform for Collaboration on Tax for a Toolkit on Taxation of Offshore Indirect Transfers of assets.

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Action 15, Action 6BEPS Monitoring GroupOctober 6, 2017BEPS, BMG, multinational companies, OECD request for comments, tax evasion and avoidanceComment
Comments on the Draft Revised Guidance on Profit Splits

The BMG has made a submission on the Draft Revised Guidance on Profit Splits.

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Action 10, Action 8BEPS Monitoring GroupSeptember 14, 2017BEPS, BMG, multinational companies, OECD request for comments, tax evasion and avoidance, Transfer PricingComment
Comments on Draft Additional Guidance on Attribution of Profits to a Permanent Establishment

The BMG has made a submission on Attribution of Profits to a Permanent Establishment in response to the OECD Discussion Draft.

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Action 7, Action 8BEPS Monitoring GroupSeptember 14, 2017BEPS, BMG, multinational companies, OECD request for comments, tax evasion and avoidance, Transfer PricingComment
Hard-to-Value Intangibles

The BMG has submitted comments on a further discussion draft from the OECD relating to transfer pricing of hard-to-value intangibles.

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Action 8BEPS Monitoring GroupJune 22, 2017BEPS, BMG, multinational companies, OECD request for comments, tax evasion and avoidance, Transfer PricingComment
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