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July 21, 2021 Ireland launches public consultation on OECD International Tax Proposals On 20 July 2021, the Irish Minister for Finance, Paschal Donohoe, announced a public consultation on the Organisation for Economic Co-operation and Development (OECD) International Tax Proposals – the two-pillar solution commonly referred to as “BEPS 2.0.” As background, on 1 July 2021, the OECD Inclusive Framework reached agreement but not unanimous consensus on key aspects of this two-pillar solution. Ireland has outlined its broad support for the agreement but has expressed reservations, particularly in relation to the proposed global minimum effective tax rate of “at least 15%.” Minister Donohoe has reiterated that he believes that it is in the interest of all countries to achieve an equitable, ambitious and sustainable agreement at the OECD on the international tax architecture and noted that Ireland is committed to playing its part in reaching any agreement. In this context, the Department of Finance considers it timely to invite interested parties to make submissions on the BEPS 2.0 measures being proposed to ensure that Ireland’s tax policy can continue to support economic growth and prosperity. The consultation period will run until 10 September 2021. The consultation document highlights that the outcome of the two-pillar solution has the potential to significantly impact Ireland, particularly with regard to Ireland’s 12.5% corporation tax rate which has been a key feature of Ireland’s ability to attract real investment and employment. The consultation document reiterates that Ireland remains committed to the OECD process and aims to find an outcome that it can support. The consultation document concisely summarizes Ireland’s position with regard to Pillar One and Pillar Two. Ireland has indicated that it is fully supportive of the Pillar One proposal to re-allocate a proportion of taxing rights to market countries, recognizing that the international tax framework must evolve to accommodate how businesses operate in today’s digitalized economy. Ireland has been clear in expressing broad support for the agreement on Pillar Two but not with regard to the proposed global minimum effective tax rate of “at least 15%.” Consultation questions The consultation document sets forth the following questions:
Next Steps EY welcomes the public consultation and will continue our active engagement with the Irish Government and other stakeholders on the global reform process. We look forward to continued discussion on this critical area with taxpayers and assisting them in formulating their position on the consultation. _________________________________________ For additional information with respect to this Alert, please contact the following: Ernst & Young (Ireland), Dublin
Ernst & Young (Ireland), Financial Services, Dublin
Ernst & Young (Ireland), Cork
Ernst & Young (Ireland), Limerick
Ernst & Young (Ireland), Waterford
Ernst & Young (Ireland), Galway
Ernst & Young LLP (United States), Irish Tax Desk, New York
Ernst & Young LLP (United States), Irish Tax Desk, San Jose
Ernst & Young LLP (United States), FSO Irish Tax Desk, New York
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