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The proposal builds on the principle that tax should be paid where profits are made and includes legally-binding measures to block the methods most commonly used by companies to avoid paying tax. It also proposes common definitions of terms like “permanent establishment”, “tax havens”, “minimum economic substance” “transfer prices”, “royalty costs”, “patent boxes”, “letterbox companies” and other terms hitherto open to interpretation.
Switch-over clause
MEPs are more ambitious than the Commission with regard to the “switch-over rule" for earnings taxed in a country outside the EU and then transferred to an EU member state. This so called “foreign income” is often exempt from taxation, so as to avoid double taxation. MEPs favour setting a minimum rate of 15%, i.e. if foreign income was taxed at a lower rate outside the EU, then the difference would need to be paid.
Further recommendations include, inter alia: