On 6 December, the council of EU finance ministers set out their conclusions on the European Commission’s latest corporate tax reform package, issued on 25 October, which included: a two-step approach to establishing a common consolidated corporate tax base (CCCTB); an improved double taxation di
On 6 December, the council of EU finance ministers set out their conclusions on the European Commission’s latest corporate tax reform package, issued on 25 October, which included: a two-step approach to establishing a common consolidated corporate tax base (CCCTB); an improved double taxation dispute resolution mechanism; and measures to tackle hybrid mismatches with non-EU countries.
On the CCCTB, the council noted ‘the importance of having corporate tax rules which offer stability, legal certainty and administrative simplification to large companies, as well as small and medium sized enterprises; and, in the light of this, welcomes further discussion on the proposal on a common corporate tax base (CCTB) and on a CCCTB’.
The House of Commons European scrutiny committee has responded to the CCCTB proposals by calling for the UK to present a reasoned opinion to the EU Parliament, on the grounds that the proposal does not comply with the principle of subsidiarity. This process is subject to an eight-week deadline, which for this proposal is 3 January 2017.
In its report ‘Taxation: a common consolidated corporate tax base’, the committee urges the House of Commons to consider a reasoned opinion on the following grounds:
On 6 December, the council of EU finance ministers set out their conclusions on the European Commission’s latest corporate tax reform package, issued on 25 October, which included: a two-step approach to establishing a common consolidated corporate tax base (CCCTB); an improved double taxation di
On 6 December, the council of EU finance ministers set out their conclusions on the European Commission’s latest corporate tax reform package, issued on 25 October, which included: a two-step approach to establishing a common consolidated corporate tax base (CCCTB); an improved double taxation dispute resolution mechanism; and measures to tackle hybrid mismatches with non-EU countries.
On the CCCTB, the council noted ‘the importance of having corporate tax rules which offer stability, legal certainty and administrative simplification to large companies, as well as small and medium sized enterprises; and, in the light of this, welcomes further discussion on the proposal on a common corporate tax base (CCTB) and on a CCCTB’.
The House of Commons European scrutiny committee has responded to the CCCTB proposals by calling for the UK to present a reasoned opinion to the EU Parliament, on the grounds that the proposal does not comply with the principle of subsidiarity. This process is subject to an eight-week deadline, which for this proposal is 3 January 2017.
In its report ‘Taxation: a common consolidated corporate tax base’, the committee urges the House of Commons to consider a reasoned opinion on the following grounds: