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Tackling Tax Havens and Offshore Finance

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Title: Tackling Tax Havens and Offshore Finance


1
Tackling Tax Havens and Offshore Finance
Seminar onMoney Laundering, Tax Evasion and
Financial Regulation Transnational
InstituteAmsterdam12th-13th June 2007
  • Prof. Sol Picciotto
  • Lancaster University Law School

2
Recent Initiatives against Havens OFCs
  • globalization is creating new challenges in the
    field of tax policy. Tax schemes aimed at
    attracting financial and other geographically
    mobile activities can create harmful tax
    competition between States, carrying risks of
    distorting trade and investment and could lead to
    the erosion of national tax bases. We strongly
    urge the OECD to vigorously pursue its work in
    this field, aimed at establishing a multilateral
    approach under which countries could operate
    individually and collectively to limit the extent
    of these practices.
  • G7 Summit Meeting, Lyon June 1996

3
Loose Coordination
  • We remain concerned about offshore financial
    centers and tax havens which undermine
    international standards of financial regulation
    and which are shelters to avoid or evade payment
    of tax. We strongly support the work being done
    by the FSF and the OECD's Forum on Harmful Tax
    Practices, as well as the cooperative efforts of
    the OECD's Committee on Fiscal Affairs (CFA) and
    the FATF. We urge the OECD's CFA to bring a rapid
    conclusion to its work on bank secrecy.
  • G7 Finance Ministers and Central Bank Governors
    Tokyo, January 2000

4
Finance and Tax Organisations Networks
  • TaxationLeague of Nations Fiscal Committee
    1928-1946UN Financial Fiscal Commission
    1948-54OECD Committee on Fiscal Affairs
    (OECD-CFA) 1956-UN Ad Hoc Group of Tax Experts
    1967-2004UN Committee of Tax Experts UN-CTE
    2004-OECD Global Forum on Taxation2001-Internat
    ional Tax Dialogue (IDB, IMF, OECD, UN, WB)
    2003-
  • Financial Market SupervisionBank for
    International Settlements BIS 1930-Basel
    Committee on Banking Supervision BCBS
    1974-Offshore Group of Banking Supervisors OGBS
    1980-International Organisation of Securities
    Commissions IOSCO 1987-International
    Association of Insurance Supervisors IAISJoint
    Forum (BCBS-IOSCO-IAIS) 1996Financial Stability
    Forum FSF 1999-Financial Stability Institute
    (BIS BCBS) 1999-
  • Money-LaunderingFinancial Action Task Force
    FATF 1989-Caribbean FATF 1992-Egmont Group
    1995-

5
Reforming the International Financial
Architecture
  • Financial Stability Forum (based at BIS)
    1999-national financial regulators in
    12significant international financial centres
    international financial institutions (IMF, WB,
    BIS, OECD) international sectoral regulators
    (BCBS, IASB, IAIS, IOSCO)committees of central
    bank experts (CPSS, CGFS) ECB
  • Compendium of Standards12 key standards for
    sound financial systemsPolicy Transparency
    (data, fiscal system, monetary financial
    policy)Financial Sector Regulation
    (banking/insurance/securities, payments,
    AML)Market Integrity (corporate governance,
    accounting/audit, insolvency)
  • IMF/WB Standards Codes Initiative
    1999-Financial Sector Assessment Programme
    FSAPOFC Assessments 2000-Reports on Standards
    Codes ROSCsdone by IMF, WB, FATF/FSRBs (for
    AML-CFT)voluntary, publication by agreement,
    4-5-year cycle

6
From Stigma to Seal of Approval for OFCs
  • Ensuring Safety SoundnessROSCs give bill of
    healthgreater security of OFCs facilitates use
    also for illicit purposes
  • Standards Omit Tax Cooperationbank
    corporate/commercial secrecy unchallenged except
    for AML-CFTlittle information sharing yet
    between AML tax authoritiesmay be confined to
    tax-related crimes
  • Secrecy Essential to Dirty Money flows
  • No name shameIMF ends FATF blacklisting

7
Havens for Tax Regulatory Avoidance
  • Old-Style smuggling
  • New-Style legal fictionse.g. shipping flags of
    convenience (Panama, Liberia)commercialisation
    of sovereignty
  • taxing residents incomeincome is an abstract
    conceptincome from capital especially
    indeterminatemost effective by deduction at
    source (PAYE, interest, dividends)i.e. on
    employees, individual savers/pensionerslegal
    person can be located anywhere
  • Avoidance (planning) strategies(i) altering
    timing of payments (ii) recharacterising nature
    of payments(iii) changing the recipient.

8
International Tax Avoidance
  • payments deductible as costs by operating
    company, paid to Conduit in treaty-haven

Host
Home
income source e.g. Fee 100
A- Resident
Treaty - no withholding tax
Base-haven
Treaty-haven
asset
99
Conduit
stepping-stones
9
Globalization Tax Competition
  • Emergence of tax havens 1920s family wealth
    business, e.g. Vesteys
  • Postwar direct capital flows emergence of
    OFCsexploitation of tax deferral on retained
    earnings by TNCscurrent account convertibility
    1958-offshore banking international capital
    marketsdeposits in havens 11b 1968, 368b 1978
  • Liberalization of investment flows capital
    flight complete convertibility 1979-1984 US
    UK end WT on interest to non-resident portfolio
    investors1988 German WT on interest abandoned
  • Competition for investment 103 states offer
    investment incentives by 1988

10
Types of Haven
  • Base-Havenno/low (income/profits) tax,
    ORexemption for non-residents, e.g.
    International Business Company
  • Treaty-Haven
  • Tax treaty limiting Source state withholding
    allowing Conduit(no effective denial-of-benefits
    provisions)
  • Secrecy
  • Bank records no disclosure to (foreign) fisc
  • fiduciary accounts - beneficial owner concealed
  • company ownership - bearer shares, owners not
    registered
  • company accounts limited filings, not enforced
  • professional-client confidentiality
  • Any state may be a haven for anothers taxes
  • Some states offer specialist services

11
Should Offshore be Targeted?
  • Offshore is systemic, not few rogue statese.g.
    UK/US since 1984 allow Eurobond interest to be
    paid gross to recipients certified as
    non-resident by paying agent fears of portfolio
    capital outflow if reporting introduced.Netherlan
    ds as tax haven due to Dutch mixer and treaties
  • Dual Approach needed
  • Stronger Positive Coordinationon definition of
    business tax base e.g. interest
    non-deductibilityUnitary taxation of TNCs e.g.
    EUs CCTB
  • Limits of Negative view of harmful tax

12
Harmful Tax Practices
  • OECD 1998 Report Haven criteriaNo/nominal
    taxation (low effective tax rate)
  • tax holidays exemption of foreign source
    income?
  • Lack of transparency
  • secret rulings, negotiated tax privileges
  • Lack of (effective) exchange of information
  • only information already obtained for its own
    enforcement?
  • No Substantial Activities / Ring-Fencing
  • dropped 2001
  • Are financial services in OFCs substantial?Rule
    s on Controlled Foreign Corporations increasingly
    complexUnitary approach would allocate tax by
    real criteria (employees, sales, assets)
  • Effective Information Exchange
  • within OECD (Switzerland, US, etc), others
    (Singapore, Dubai)?
  • Global Forum, Towards a Level Playing FieldUS
    shell companies AML reporting of dealings
    with shells in OFCs?

13
Tax and Crime Kept Separate?
  • G7 Finance Ministers CBGsMoney laundering
    authorities should be permitted to the greatest
    extent possible to pass information to their tax
    authorities to support the investigation of tax
    related crimes. (Birmingham 1999)
  • Defining Tax Financial Crimeguilty knowledge
    needs proof of knowledge that activity clearly
    illegal
  • Grey Areasbribery political donations,
    government complicityinsider dealing privileged
    informationtax avoidance/evasion/fraud

14
How to Define Offshore?
  • Main criteriaoffering services aimed at
    non-residentsfavourable regulation, especially
    secrecylow/zero effective tax rates
  • IMF proposed definitiona country or
    jurisdiction that provides financial services to
    nonresidents on a scale that is incommensurate
    with the size and the financing of its domestic
    economy (Zoromé 2007).
  • Quantifiability?Gaps in balance of payments
    statistics Information Framework
    InitiativeProxy capital accounts portfolio
    investments dataratio of financial services
    exports /GDPbanding by country income level? (to
    include Barbados, Costa Rica, Lebanon, Macao,
    Malaysia, Uruguay)what level of deviation from
    mean? (single deviation includes UK)

15
A Financial Transparency Index?
  • Ranked Listing of OFCsbased on objective data
  • Transparency Weightingobjective evaluations of
    compliance with global standards
  • Information Availabilityon register/supplied
    automatically/on request/court orderpersons with
    power to direct use of assetspersons deriving
    benefits from entityofficers, executives
    professional advisers of entitypersons for whom
    nominees are actingaccounts payments to
    non-residents
  • Effective Information Exchangedomestically,
    including between AML tax authoritiesinternatio
    nally, no requirement of domestic interest or
    dual criminality
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