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The GloBE Income Inclusion Rule and Its Global Character: Complexities Underlying Its Fully Effective Application

Authors :
Carla De Pietro
Fiscal Institute Tilburg (FIT)
Department of Tax Economics
Source :
Tilburg University-PURE, EC Tax Review, 30(5-6), 220-235. KLUWER LAW INT
Publication Year :
2021
Publisher :
Kluwer Law International BV, 2021.

Abstract

This article focuses on the complex challenges affecting the relationship between different tax systems (national, international and EU) within a context, like the current GloBE project, which is looking for appropriate tax measures applying on a global scale. In fact, the need of developing tax measures with a global character requires specific attention to be given to issues concerning the effectiveness of these measures in light of the relationship between the relevant tax systems. More specifically, within the framework of this article, the analysis aimed at evaluating the possibilities of guaranteeing a fully effective application of the GloBE income inclusion rule has been conducted on the basis of two crucial factors, i.e. (1) the compliance of the income inclusion rule with international tax treaty law and with EU tax law, and (2) the coordination between international tax treaty law and EU tax law. Global Anti-Base Erosion (GloBE) project, Pillar Two, Income Inclusion Rule, BEPS, CFC legislation, Abuse, OECD/G20 Inclusive Framework, Saving Clause.

Details

ISSN :
09282750
Volume :
30
Database :
OpenAIRE
Journal :
EC Tax Review
Accession number :
edsair.doi.dedup.....b49e926ae8c46abaebdec38a8557b2b2
Full Text :
https://doi.org/10.54648/ecta2021023