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Design and Impact of the Colombian “Significant Economic Presence” Regime

Design and Impact of the Colombian “Significant Economic Presence” Regime

Before and after joining the O.E.C.D. in 2020, Colombia was an enthusiastic adopter of international tax policies promoted by the O.E.C.D.’s B.E.P.S. Project. Two motivations spurred this action. First, the government wished to overcome technical gaps in the domestic legislation of cross-border taxation. Second, the government sought additional revenue from nonresident companies doing business with clients based in Colombia. However, the Significant Economic Presence (“S.E.P.) regime breaks with the tradition of adopting modifications in a way that is consistent with O.E.C.D. policies. Colombia created the S.E.P. regime as a unilateral alternative to the global proposal of Pillar 1, rejecting this proposal based on two strategic considerations. The first was the low probability of global implementation. The second was the expansion of the tax base beyond that provided by Pillar 2. Depending on your viewpoint, the S.E.P. regime contains certain elements that resemble an income tax and other elements that resemble a V.A.T. Eric Thompson, a Partner of attorneys Cañón Thompson in Bogota, takes a deep dive in his article and tells all. He suggests that a tax that was intended to raise revenue from nonresident suppliers may simply result in price increases in Colombia. Who knew that could happen?

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Notice 2023-80: U.S. Foreign Tax Guidance for Pillar 2

Notice 2023-80: U.S. Foreign Tax Guidance for Pillar 2

On December 11, 2023, the I.R.S. issued Notice 2023-55 (the “Notice”), announcing the intention to issue proposed regulations addressing the interaction between the Pillar 2 GloBE Rules and specific U.S. tax provisions, including the foreign tax credit rules and dual consolidated loss rules. The issuance of this guidance is timely, as the I.I.R.’s of most countries took effect at the start of this year. The U.T.P.R.’s are scheduled to come online in 2025. In his article, Michael Bennett tracks the way Notice 2023-80 addresses GloBE model rules and the foreign tax credit. Topics include the application of the foreign tax credit rules in the U.S. to final Top-Up Tax, the Q.M.D.T.T. in general, how the application of the separate levy rules will apply to a foreign country’s I.I.R., U.T.P.R., and Q.D.M.T.T, and the interplay of the GloBE rules of B.E.P.S. 2 and the dual consolidated loss rules of U.S. tax law.

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