The Taxation of the Digital Economy: the OECD BEPS Policy Response Versus the UN Facti Panel's Principle Response
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Date
2022Author
Latif, Lyla
Ongore, Mary
Adegboye, Abiodun
Type
OtherLanguage
enMetadata
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The residence/source tax rules that have been in place for over a decade have become redundant
in the modern-day digitalised economy. Concepts that created tax certainty such as the concept of
permanent establishment have become redundant as the value chains and business models have
changed. Although a work in progress, the OECD has been working towards developing a new
tax nexus and allocation of taxing rights under BEPS 2.0. The UN FACTI Panel has meanwhile
adopted a principle-based approach that attempts to guide countries towards a fairer more
transparent way of taxing the digital economy. The question this paper seeks to answer is whether
implementing the UN FACTI Panel's principle-based approach as part of the formulation of taxing
and profit allocation rules under the OECD BEPS' policy driven approach give these rules the
legitimacy needed for equitable and fair enforcement? It concludes by adopting the position that
the OECD rules at present leave little for developing counties and that an African position that
better safeguards her interests should be adopted.
Publisher
University of Nairobi
Rights
Attribution-NonCommercial-NoDerivs 3.0 United StatesUsage Rights
http://creativecommons.org/licenses/by-nc-nd/3.0/us/Collections
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