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27 January 2015

Clamping down on corporate tax avoidance: Council adopts anti-abuse clause


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The aim is to stop the parent-subsidiary directive from being misused for the purposes of tax avoidance, and to achieve greater consistency in its application in different member states.


The anti-abuse clause will prevent member states from granting the benefits of the directive to arrangements that are not "genuine", i.e. that have been put into place to obtain a tax advantage without reflecting economic reality.  

The clause is formulated as a "de minimis" rule, meaning that member states can apply stricter national rules, as long as they meet minimum EU requirements.  

Two amendments to the directive  

The parent-subsidiary directive (2011/96/EU), adopted in November 2011, is intended to ensure that profits made by cross-border groups are not taxed twice. It requires member states to exempt from taxation profits received by parent companies from their subsidiaries in other member states.  

In November 2013, the Commission proposed to amend the directive with the twofold objective of tackling hybrid loan mismatches and introducing a general anti-abuse rule.  

In May 2014, the Council decided to split the proposal and to address these two issues separately. In July 2014, it adopted as a first step provisions to prevent corporate groups from using hybrid loan arrangements to benefit from double-non taxation under the directive.  

Meanwhile work continued on the anti-abuse clause, and agreement was reached in December 2014.  

Deadline for the member states  

Member states will have until 31 December 2015 to introduce an anti-abuse rule into national law. The same deadline applies for transposition of the July 2014 amendments to tackle hybrid loan mismatches.  

Full press release



© Council of the European Union


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