Delay is over: Work begins to shine spotlight on where companies pay their taxes | Nieuws | Europees Parlement

Huidige taal: NL - Nederlands  
 

Delay is over: Work begins to shine spotlight on where companies pay their taxes 

Persbericht 
 
 
  • Multinationals will have to disclose amount of tax they pay in each EU country
  • The public and tax authorities will be able to see what taxes are being paid where
  • Negotiations on final shape of EU bill set to begin very shortly

Four years after Parliament adopted its position on draft legislation on public country-by-country reporting, EU governments come to the table to negotiate a deal.

On Thursday, Parliament’s lead negotiators, Evelyn Regner (S&D, AT) and Ibán García Del Blanco (S&D, ES), were officially given the green light to enter into negotiations with the EU governments’ representatives, based on the position the EP adopted in 2017. Last week, member states were able to agree their negotiating position. These negotiations are now set to begin very shortly.


Evelyn Regner said:

“This is a breakthrough for tax fairness in the EU. Public country-by-country reporting will oblige multinational companies to be financially transparent about where they make profits and where they pay taxes. Especially in the context of the COVID-19 pandemic, where companies are receiving considerable support from public spending, citizens have an even greater right to know which multinationals are playing fair and which are free-riding.”


Ibán García Del Blanco said:

“We have been waiting for the Council for too long. We are ready to start negotiations immediately in order to reach an agreement under the Portuguese Presidency, thereby making progress on tax and corporate transparency. We urgently need meaningful financial transparency to fight tax evasion and profit shifting. Citizens’ trust in our democracies depends on everyone contributing their fair share to the recovery.”

The European Parliament’s main additions


The Parliament’s position adds to the Commission’s original proposal, notably in the following ways:


  • the information requested from multinationals should be presented separately, including for each tax jurisdiction outside the EU;
  • multinationals must make their annual report on income tax information publicly available and free of charge, and file the report in a public registry managed by the Commission;
  • a safeguard clause for sensitive corporate data has been added, allowing multinationals to temporarily omit information when disclosing it would be seriously prejudicial to their commercial positions;
  • additional items of information will be provided in the tax reports to help achieve a more complete picture, such as information on the number of all full-time employees, fixed assets, stated capital, preferential tax treatment, or government subsidies;
  • subsidiaries with a turnover of EUR 750 million or more would also be subject to country-by-country reporting requirements.

Background

This legislation is part of the EU’s regulatory measures to implement the OECD’s Base Erosion and Profit Shifting (BEPS) Action Plan 13. In essence, multinationals with annual turnovers of more than EUR 750 million will be required to provide an annual tax statement that breaks down key elements of the statements by tax jurisdiction. This will provide the public and tax authorities with more visibility on what taxes are being paid where.


On 4 July 4 2017, Parliament adopted its amendments to the Commission’s proposal. It then reconfirmed its position in its first reading on March 27, 2019. On 24 October 2019, MEPs passed a strong resolution urgently calling on the member states to break the deadlock and enter inter-institutional negotiations.

 
Huidige taal: NL - Nederlands  
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    Pers   > Huidige pagina: Delay is over: Work begins to shine spotlight on where companies pay their taxes  
    Pers   > Pers  Pers > Huidige pagina: Delay is over: Work begins to shine spotlight on where companies pay their taxes   Huidige pagina: Delay is over: Work begins to shine spotlight on where companies pay their taxes   Huidige pagina:Delay is over: Work begins to shine spotlight on where companies pay their taxes  Pers  Pers >
     

    Delay is over: Work begins to shine spotlight on where companies pay their taxes 

    Persbericht 
     
     
    • Multinationals will have to disclose amount of tax they pay in each EU country
    • The public and tax authorities will be able to see what taxes are being paid where
    • Negotiations on final shape of EU bill set to begin very shortly

    Four years after Parliament adopted its position on draft legislation on public country-by-country reporting, EU governments come to the table to negotiate a deal.

    On Thursday, Parliament’s lead negotiators, Evelyn Regner (S&D, AT) and Ibán García Del Blanco (S&D, ES), were officially given the green light to enter into negotiations with the EU governments’ representatives, based on the position the EP adopted in 2017. Last week, member states were able to agree their negotiating position. These negotiations are now set to begin very shortly.


    Evelyn Regner said:

    “This is a breakthrough for tax fairness in the EU. Public country-by-country reporting will oblige multinational companies to be financially transparent about where they make profits and where they pay taxes. Especially in the context of the COVID-19 pandemic, where companies are receiving considerable support from public spending, citizens have an even greater right to know which multinationals are playing fair and which are free-riding.”


    Ibán García Del Blanco said:

    “We have been waiting for the Council for too long. We are ready to start negotiations immediately in order to reach an agreement under the Portuguese Presidency, thereby making progress on tax and corporate transparency. We urgently need meaningful financial transparency to fight tax evasion and profit shifting. Citizens’ trust in our democracies depends on everyone contributing their fair share to the recovery.”

    The European Parliament’s main additions


    The Parliament’s position adds to the Commission’s original proposal, notably in the following ways:


    • the information requested from multinationals should be presented separately, including for each tax jurisdiction outside the EU;
    • multinationals must make their annual report on income tax information publicly available and free of charge, and file the report in a public registry managed by the Commission;
    • a safeguard clause for sensitive corporate data has been added, allowing multinationals to temporarily omit information when disclosing it would be seriously prejudicial to their commercial positions;
    • additional items of information will be provided in the tax reports to help achieve a more complete picture, such as information on the number of all full-time employees, fixed assets, stated capital, preferential tax treatment, or government subsidies;
    • subsidiaries with a turnover of EUR 750 million or more would also be subject to country-by-country reporting requirements.

    Background

    This legislation is part of the EU’s regulatory measures to implement the OECD’s Base Erosion and Profit Shifting (BEPS) Action Plan 13. In essence, multinationals with annual turnovers of more than EUR 750 million will be required to provide an annual tax statement that breaks down key elements of the statements by tax jurisdiction. This will provide the public and tax authorities with more visibility on what taxes are being paid where.


    On 4 July 4 2017, Parliament adopted its amendments to the Commission’s proposal. It then reconfirmed its position in its first reading on March 27, 2019. On 24 October 2019, MEPs passed a strong resolution urgently calling on the member states to break the deadlock and enter inter-institutional negotiations.

     
     

    Delay is over: Work begins to shine spotlight on where companies pay their taxes 

    Persbericht 
     
     

    Delay is over: Work begins to shine spotlight on where companies pay their taxes 

    Persbericht 
     
     
     

    Delay is over: Work begins to shine spotlight on where companies pay their taxes 

    Persbericht 
     

    Delay is over: Work begins to shine spotlight on where companies pay their taxes 

    Persbericht 
     

    Delay is over: Work begins to shine spotlight on where companies pay their taxes 

    Persbericht 
     

    Delay is over: Work begins to shine spotlight on where companies pay their taxes 

    Delay is over: Work begins to shine spotlight on where companies pay their taxes 
    Delay is over: Work begins to shine spotlight on where companies pay their taxes 
    Persbericht 
     
    Persbericht 
    Persbericht  ECON  ECONECON  JURI  JURIJURI 
     
     
     
    • Multinationals will have to disclose amount of tax they pay in each EU country
    • The public and tax authorities will be able to see what taxes are being paid where
    • Negotiations on final shape of EU bill set to begin very shortly

    Four years after Parliament adopted its position on draft legislation on public country-by-country reporting, EU governments come to the table to negotiate a deal.

    On Thursday, Parliament’s lead negotiators, Evelyn Regner (S&D, AT) and Ibán García Del Blanco (S&D, ES), were officially given the green light to enter into negotiations with the EU governments’ representatives, based on the position the EP adopted in 2017. Last week, member states were able to agree their negotiating position. These negotiations are now set to begin very shortly.


    Evelyn Regner said:

    “This is a breakthrough for tax fairness in the EU. Public country-by-country reporting will oblige multinational companies to be financially transparent about where they make profits and where they pay taxes. Especially in the context of the COVID-19 pandemic, where companies are receiving considerable support from public spending, citizens have an even greater right to know which multinationals are playing fair and which are free-riding.”


    Ibán García Del Blanco said:

    “We have been waiting for the Council for too long. We are ready to start negotiations immediately in order to reach an agreement under the Portuguese Presidency, thereby making progress on tax and corporate transparency. We urgently need meaningful financial transparency to fight tax evasion and profit shifting. Citizens’ trust in our democracies depends on everyone contributing their fair share to the recovery.”

    The European Parliament’s main additions


    The Parliament’s position adds to the Commission’s original proposal, notably in the following ways:


    • the information requested from multinationals should be presented separately, including for each tax jurisdiction outside the EU;
    • multinationals must make their annual report on income tax information publicly available and free of charge, and file the report in a public registry managed by the Commission;
    • a safeguard clause for sensitive corporate data has been added, allowing multinationals to temporarily omit information when disclosing it would be seriously prejudicial to their commercial positions;
    • additional items of information will be provided in the tax reports to help achieve a more complete picture, such as information on the number of all full-time employees, fixed assets, stated capital, preferential tax treatment, or government subsidies;
    • subsidiaries with a turnover of EUR 750 million or more would also be subject to country-by-country reporting requirements.

    Background

    This legislation is part of the EU’s regulatory measures to implement the OECD’s Base Erosion and Profit Shifting (BEPS) Action Plan 13. In essence, multinationals with annual turnovers of more than EUR 750 million will be required to provide an annual tax statement that breaks down key elements of the statements by tax jurisdiction. This will provide the public and tax authorities with more visibility on what taxes are being paid where.


    On 4 July 4 2017, Parliament adopted its amendments to the Commission’s proposal. It then reconfirmed its position in its first reading on March 27, 2019. On 24 October 2019, MEPs passed a strong resolution urgently calling on the member states to break the deadlock and enter inter-institutional negotiations.

     
     
    • Multinationals will have to disclose amount of tax they pay in each EU country
    • The public and tax authorities will be able to see what taxes are being paid where
    • Negotiations on final shape of EU bill set to begin very shortly

    Four years after Parliament adopted its position on draft legislation on public country-by-country reporting, EU governments come to the table to negotiate a deal.

    On Thursday, Parliament’s lead negotiators, Evelyn Regner (S&D, AT) and Ibán García Del Blanco (S&D, ES), were officially given the green light to enter into negotiations with the EU governments’ representatives, based on the position the EP adopted in 2017. Last week, member states were able to agree their negotiating position. These negotiations are now set to begin very shortly.


    Evelyn Regner said:

    “This is a breakthrough for tax fairness in the EU. Public country-by-country reporting will oblige multinational companies to be financially transparent about where they make profits and where they pay taxes. Especially in the context of the COVID-19 pandemic, where companies are receiving considerable support from public spending, citizens have an even greater right to know which multinationals are playing fair and which are free-riding.”


    Ibán García Del Blanco said:

    “We have been waiting for the Council for too long. We are ready to start negotiations immediately in order to reach an agreement under the Portuguese Presidency, thereby making progress on tax and corporate transparency. We urgently need meaningful financial transparency to fight tax evasion and profit shifting. Citizens’ trust in our democracies depends on everyone contributing their fair share to the recovery.”

    The European Parliament’s main additions


    The Parliament’s position adds to the Commission’s original proposal, notably in the following ways:


    • the information requested from multinationals should be presented separately, including for each tax jurisdiction outside the EU;
    • multinationals must make their annual report on income tax information publicly available and free of charge, and file the report in a public registry managed by the Commission;
    • a safeguard clause for sensitive corporate data has been added, allowing multinationals to temporarily omit information when disclosing it would be seriously prejudicial to their commercial positions;
    • additional items of information will be provided in the tax reports to help achieve a more complete picture, such as information on the number of all full-time employees, fixed assets, stated capital, preferential tax treatment, or government subsidies;
    • subsidiaries with a turnover of EUR 750 million or more would also be subject to country-by-country reporting requirements.

    Background

    This legislation is part of the EU’s regulatory measures to implement the OECD’s Base Erosion and Profit Shifting (BEPS) Action Plan 13. In essence, multinationals with annual turnovers of more than EUR 750 million will be required to provide an annual tax statement that breaks down key elements of the statements by tax jurisdiction. This will provide the public and tax authorities with more visibility on what taxes are being paid where.


    On 4 July 4 2017, Parliament adopted its amendments to the Commission’s proposal. It then reconfirmed its position in its first reading on March 27, 2019. On 24 October 2019, MEPs passed a strong resolution urgently calling on the member states to break the deadlock and enter inter-institutional negotiations.

     
     
     

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    • Multinationals will have to disclose amount of tax they pay in each EU country
    • The public and tax authorities will be able to see what taxes are being paid where
    • Negotiations on final shape of EU bill set to begin very shortly

    Four years after Parliament adopted its position on draft legislation on public country-by-country reporting, EU governments come to the table to negotiate a deal.

    On Thursday, Parliament’s lead negotiators, Evelyn Regner (S&D, AT) and Ibán García Del Blanco (S&D, ES), were officially given the green light to enter into negotiations with the EU governments’ representatives, based on the position the EP adopted in 2017. Last week, member states were able to agree their negotiating position. These negotiations are now set to begin very shortly.


    Evelyn Regner said:

    “This is a breakthrough for tax fairness in the EU. Public country-by-country reporting will oblige multinational companies to be financially transparent about where they make profits and where they pay taxes. Especially in the context of the COVID-19 pandemic, where companies are receiving considerable support from public spending, citizens have an even greater right to know which multinationals are playing fair and which are free-riding.”


    Ibán García Del Blanco said:

    “We have been waiting for the Council for too long. We are ready to start negotiations immediately in order to reach an agreement under the Portuguese Presidency, thereby making progress on tax and corporate transparency. We urgently need meaningful financial transparency to fight tax evasion and profit shifting. Citizens’ trust in our democracies depends on everyone contributing their fair share to the recovery.”

    The European Parliament’s main additions


    The Parliament’s position adds to the Commission’s original proposal, notably in the following ways:


    • the information requested from multinationals should be presented separately, including for each tax jurisdiction outside the EU;
    • multinationals must make their annual report on income tax information publicly available and free of charge, and file the report in a public registry managed by the Commission;
    • a safeguard clause for sensitive corporate data has been added, allowing multinationals to temporarily omit information when disclosing it would be seriously prejudicial to their commercial positions;
    • additional items of information will be provided in the tax reports to help achieve a more complete picture, such as information on the number of all full-time employees, fixed assets, stated capital, preferential tax treatment, or government subsidies;
    • subsidiaries with a turnover of EUR 750 million or more would also be subject to country-by-country reporting requirements.

    Background

    This legislation is part of the EU’s regulatory measures to implement the OECD’s Base Erosion and Profit Shifting (BEPS) Action Plan 13. In essence, multinationals with annual turnovers of more than EUR 750 million will be required to provide an annual tax statement that breaks down key elements of the statements by tax jurisdiction. This will provide the public and tax authorities with more visibility on what taxes are being paid where.


    On 4 July 4 2017, Parliament adopted its amendments to the Commission’s proposal. It then reconfirmed its position in its first reading on March 27, 2019. On 24 October 2019, MEPs passed a strong resolution urgently calling on the member states to break the deadlock and enter inter-institutional negotiations.

    • Multinationals will have to disclose amount of tax they pay in each EU country
    • The public and tax authorities will be able to see what taxes are being paid where
    • Negotiations on final shape of EU bill set to begin very shortly

    Four years after Parliament adopted its position on draft legislation on public country-by-country reporting, EU governments come to the table to negotiate a deal.

    On Thursday, Parliament’s lead negotiators, Evelyn Regner (S&D, AT) and Ibán García Del Blanco (S&D, ES), were officially given the green light to enter into negotiations with the EU governments’ representatives, based on the position the EP adopted in 2017. Last week, member states were able to agree their negotiating position. These negotiations are now set to begin very shortly.


    Evelyn Regner said:

    “This is a breakthrough for tax fairness in the EU. Public country-by-country reporting will oblige multinational companies to be financially transparent about where they make profits and where they pay taxes. Especially in the context of the COVID-19 pandemic, where companies are receiving considerable support from public spending, citizens have an even greater right to know which multinationals are playing fair and which are free-riding.”


    Ibán García Del Blanco said:

    “We have been waiting for the Council for too long. We are ready to start negotiations immediately in order to reach an agreement under the Portuguese Presidency, thereby making progress on tax and corporate transparency. We urgently need meaningful financial transparency to fight tax evasion and profit shifting. Citizens’ trust in our democracies depends on everyone contributing their fair share to the recovery.”

    The European Parliament’s main additions


    The Parliament’s position adds to the Commission’s original proposal, notably in the following ways:


    • the information requested from multinationals should be presented separately, including for each tax jurisdiction outside the EU;
    • multinationals must make their annual report on income tax information publicly available and free of charge, and file the report in a public registry managed by the Commission;
    • a safeguard clause for sensitive corporate data has been added, allowing multinationals to temporarily omit information when disclosing it would be seriously prejudicial to their commercial positions;
    • additional items of information will be provided in the tax reports to help achieve a more complete picture, such as information on the number of all full-time employees, fixed assets, stated capital, preferential tax treatment, or government subsidies;
    • subsidiaries with a turnover of EUR 750 million or more would also be subject to country-by-country reporting requirements.

    Background

    This legislation is part of the EU’s regulatory measures to implement the OECD’s Base Erosion and Profit Shifting (BEPS) Action Plan 13. In essence, multinationals with annual turnovers of more than EUR 750 million will be required to provide an annual tax statement that breaks down key elements of the statements by tax jurisdiction. This will provide the public and tax authorities with more visibility on what taxes are being paid where.


    On 4 July 4 2017, Parliament adopted its amendments to the Commission’s proposal. It then reconfirmed its position in its first reading on March 27, 2019. On 24 October 2019, MEPs passed a strong resolution urgently calling on the member states to break the deadlock and enter inter-institutional negotiations.

    • Multinationals will have to disclose amount of tax they pay in each EU country
    • The public and tax authorities will be able to see what taxes are being paid where
    • Negotiations on final shape of EU bill set to begin very shortly

    Four years after Parliament adopted its position on draft legislation on public country-by-country reporting, EU governments come to the table to negotiate a deal.

    On Thursday, Parliament’s lead negotiators, Evelyn Regner (S&D, AT) and Ibán García Del Blanco (S&D, ES), were officially given the green light to enter into negotiations with the EU governments’ representatives, based on the position the EP adopted in 2017. Last week, member states were able to agree their negotiating position. These negotiations are now set to begin very shortly.


    Evelyn Regner said:

    “This is a breakthrough for tax fairness in the EU. Public country-by-country reporting will oblige multinational companies to be financially transparent about where they make profits and where they pay taxes. Especially in the context of the COVID-19 pandemic, where companies are receiving considerable support from public spending, citizens have an even greater right to know which multinationals are playing fair and which are free-riding.”


    Ibán García Del Blanco said:

    “We have been waiting for the Council for too long. We are ready to start negotiations immediately in order to reach an agreement under the Portuguese Presidency, thereby making progress on tax and corporate transparency. We urgently need meaningful financial transparency to fight tax evasion and profit shifting. Citizens’ trust in our democracies depends on everyone contributing their fair share to the recovery.”

    The European Parliament’s main additions


    The Parliament’s position adds to the Commission’s original proposal, notably in the following ways:


    • the information requested from multinationals should be presented separately, including for each tax jurisdiction outside the EU;
    • multinationals must make their annual report on income tax information publicly available and free of charge, and file the report in a public registry managed by the Commission;
    • a safeguard clause for sensitive corporate data has been added, allowing multinationals to temporarily omit information when disclosing it would be seriously prejudicial to their commercial positions;
    • additional items of information will be provided in the tax reports to help achieve a more complete picture, such as information on the number of all full-time employees, fixed assets, stated capital, preferential tax treatment, or government subsidies;
    • subsidiaries with a turnover of EUR 750 million or more would also be subject to country-by-country reporting requirements.

    Background

    This legislation is part of the EU’s regulatory measures to implement the OECD’s Base Erosion and Profit Shifting (BEPS) Action Plan 13. In essence, multinationals with annual turnovers of more than EUR 750 million will be required to provide an annual tax statement that breaks down key elements of the statements by tax jurisdiction. This will provide the public and tax authorities with more visibility on what taxes are being paid where.


    On 4 July 4 2017, Parliament adopted its amendments to the Commission’s proposal. It then reconfirmed its position in its first reading on March 27, 2019. On 24 October 2019, MEPs passed a strong resolution urgently calling on the member states to break the deadlock and enter inter-institutional negotiations.

    • Multinationals will have to disclose amount of tax they pay in each EU country
    • The public and tax authorities will be able to see what taxes are being paid where
    • Negotiations on final shape of EU bill set to begin very shortly
    • Multinationals will have to disclose amount of tax they pay in each EU country
    • The public and tax authorities will be able to see what taxes are being paid where
    • Negotiations on final shape of EU bill set to begin very shortly
    • Multinationals will have to disclose amount of tax they pay in each EU country
    • The public and tax authorities will be able to see what taxes are being paid where
    • Negotiations on final shape of EU bill set to begin very shortly
    • Multinationals will have to disclose amount of tax they pay in each EU country
    • The public and tax authorities will be able to see what taxes are being paid where
    • Negotiations on final shape of EU bill set to begin very shortly
  • Multinationals will have to disclose amount of tax they pay in each EU country
  • The public and tax authorities will be able to see what taxes are being paid where
  • Negotiations on final shape of EU bill set to begin very shortly
  • Four years after Parliament adopted its position on draft legislation on public country-by-country reporting, EU governments come to the table to negotiate a deal.

    Four years after Parliament adopted its position on draft legislation on public country-by-country reporting, EU governments come to the table to negotiate a deal.

    Four years after Parliament adopted its position on draft legislation on public country-by-country reporting, EU governments come to the table to negotiate a deal.

    Four years after Parliament adopted its position on draft legislation on public country-by-country reporting, EU governments come to the table to negotiate a deal.

    On Thursday, Parliament’s lead negotiators, Evelyn Regner (S&D, AT) and Ibán García Del Blanco (S&D, ES), were officially given the green light to enter into negotiations with the EU governments’ representatives, based on the position the EP adopted in 2017. Last week, member states were able to agree their negotiating position. These negotiations are now set to begin very shortly.


    Evelyn Regner said:

    “This is a breakthrough for tax fairness in the EU. Public country-by-country reporting will oblige multinational companies to be financially transparent about where they make profits and where they pay taxes. Especially in the context of the COVID-19 pandemic, where companies are receiving considerable support from public spending, citizens have an even greater right to know which multinationals are playing fair and which are free-riding.”


    Ibán García Del Blanco said:

    “We have been waiting for the Council for too long. We are ready to start negotiations immediately in order to reach an agreement under the Portuguese Presidency, thereby making progress on tax and corporate transparency. We urgently need meaningful financial transparency to fight tax evasion and profit shifting. Citizens’ trust in our democracies depends on everyone contributing their fair share to the recovery.”

    The European Parliament’s main additions


    The Parliament’s position adds to the Commission’s original proposal, notably in the following ways:


    • the information requested from multinationals should be presented separately, including for each tax jurisdiction outside the EU;
    • multinationals must make their annual report on income tax information publicly available and free of charge, and file the report in a public registry managed by the Commission;
    • a safeguard clause for sensitive corporate data has been added, allowing multinationals to temporarily omit information when disclosing it would be seriously prejudicial to their commercial positions;
    • additional items of information will be provided in the tax reports to help achieve a more complete picture, such as information on the number of all full-time employees, fixed assets, stated capital, preferential tax treatment, or government subsidies;
    • subsidiaries with a turnover of EUR 750 million or more would also be subject to country-by-country reporting requirements.

    Background

    This legislation is part of the EU’s regulatory measures to implement the OECD’s Base Erosion and Profit Shifting (BEPS) Action Plan 13. In essence, multinationals with annual turnovers of more than EUR 750 million will be required to provide an annual tax statement that breaks down key elements of the statements by tax jurisdiction. This will provide the public and tax authorities with more visibility on what taxes are being paid where.


    On 4 July 4 2017, Parliament adopted its amendments to the Commission’s proposal. It then reconfirmed its position in its first reading on March 27, 2019. On 24 October 2019, MEPs passed a strong resolution urgently calling on the member states to break the deadlock and enter inter-institutional negotiations.

    On Thursday, Parliament’s lead negotiators, Evelyn Regner (S&D, AT) and Ibán García Del Blanco (S&D, ES), were officially given the green light to enter into negotiations with the EU governments’ representatives, based on the position the EP adopted in 2017. Last week, member states were able to agree their negotiating position. These negotiations are now set to begin very shortly.


    Evelyn Regner said:

    “This is a breakthrough for tax fairness in the EU. Public country-by-country reporting will oblige multinational companies to be financially transparent about where they make profits and where they pay taxes. Especially in the context of the COVID-19 pandemic, where companies are receiving considerable support from public spending, citizens have an even greater right to know which multinationals are playing fair and which are free-riding.”


    Ibán García Del Blanco said:

    “We have been waiting for the Council for too long. We are ready to start negotiations immediately in order to reach an agreement under the Portuguese Presidency, thereby making progress on tax and corporate transparency. We urgently need meaningful financial transparency to fight tax evasion and profit shifting. Citizens’ trust in our democracies depends on everyone contributing their fair share to the recovery.”

    The European Parliament’s main additions


    The Parliament’s position adds to the Commission’s original proposal, notably in the following ways:


    • the information requested from multinationals should be presented separately, including for each tax jurisdiction outside the EU;
    • multinationals must make their annual report on income tax information publicly available and free of charge, and file the report in a public registry managed by the Commission;
    • a safeguard clause for sensitive corporate data has been added, allowing multinationals to temporarily omit information when disclosing it would be seriously prejudicial to their commercial positions;
    • additional items of information will be provided in the tax reports to help achieve a more complete picture, such as information on the number of all full-time employees, fixed assets, stated capital, preferential tax treatment, or government subsidies;
    • subsidiaries with a turnover of EUR 750 million or more would also be subject to country-by-country reporting requirements.

    Background

    This legislation is part of the EU’s regulatory measures to implement the OECD’s Base Erosion and Profit Shifting (BEPS) Action Plan 13. In essence, multinationals with annual turnovers of more than EUR 750 million will be required to provide an annual tax statement that breaks down key elements of the statements by tax jurisdiction. This will provide the public and tax authorities with more visibility on what taxes are being paid where.


    On 4 July 4 2017, Parliament adopted its amendments to the Commission’s proposal. It then reconfirmed its position in its first reading on March 27, 2019. On 24 October 2019, MEPs passed a strong resolution urgently calling on the member states to break the deadlock and enter inter-institutional negotiations.

    On Thursday, Parliament’s lead negotiators, Evelyn Regner (S&D, AT) and Ibán García Del Blanco (S&D, ES), were officially given the green light to enter into negotiations with the EU governments’ representatives, based on the position the EP adopted in 2017. Last week, member states were able to agree their negotiating position. These negotiations are now set to begin very shortly.


    Evelyn Regner said:

    “This is a breakthrough for tax fairness in the EU. Public country-by-country reporting will oblige multinational companies to be financially transparent about where they make profits and where they pay taxes. Especially in the context of the COVID-19 pandemic, where companies are receiving considerable support from public spending, citizens have an even greater right to know which multinationals are playing fair and which are free-riding.”


    Ibán García Del Blanco said:

    “We have been waiting for the Council for too long. We are ready to start negotiations immediately in order to reach an agreement under the Portuguese Presidency, thereby making progress on tax and corporate transparency. We urgently need meaningful financial transparency to fight tax evasion and profit shifting. Citizens’ trust in our democracies depends on everyone contributing their fair share to the recovery.”

    The European Parliament’s main additions


    The Parliament’s position adds to the Commission’s original proposal, notably in the following ways:


    • the information requested from multinationals should be presented separately, including for each tax jurisdiction outside the EU;
    • multinationals must make their annual report on income tax information publicly available and free of charge, and file the report in a public registry managed by the Commission;
    • a safeguard clause for sensitive corporate data has been added, allowing multinationals to temporarily omit information when disclosing it would be seriously prejudicial to their commercial positions;
    • additional items of information will be provided in the tax reports to help achieve a more complete picture, such as information on the number of all full-time employees, fixed assets, stated capital, preferential tax treatment, or government subsidies;
    • subsidiaries with a turnover of EUR 750 million or more would also be subject to country-by-country reporting requirements.

    Background

    This legislation is part of the EU’s regulatory measures to implement the OECD’s Base Erosion and Profit Shifting (BEPS) Action Plan 13. In essence, multinationals with annual turnovers of more than EUR 750 million will be required to provide an annual tax statement that breaks down key elements of the statements by tax jurisdiction. This will provide the public and tax authorities with more visibility on what taxes are being paid where.


    On 4 July 4 2017, Parliament adopted its amendments to the Commission’s proposal. It then reconfirmed its position in its first reading on March 27, 2019. On 24 October 2019, MEPs passed a strong resolution urgently calling on the member states to break the deadlock and enter inter-institutional negotiations.

    On Thursday, Parliament’s lead negotiators, Evelyn Regner (S&D, AT) and Ibán García Del Blanco (S&D, ES), were officially given the green light to enter into negotiations with the EU governments’ representatives, based on the position the EP adopted in 2017. Last week, member states were able to agree their negotiating position. These negotiations are now set to begin very shortly.

    Evelyn RegnerIbán García Del BlancoEP adopted in 2017

    Evelyn Regner said:

    Evelyn Regner

    “This is a breakthrough for tax fairness in the EU. Public country-by-country reporting will oblige multinational companies to be financially transparent about where they make profits and where they pay taxes. Especially in the context of the COVID-19 pandemic, where companies are receiving considerable support from public spending, citizens have an even greater right to know which multinationals are playing fair and which are free-riding.”


    Ibán García Del Blanco said:

    Ibán García Del Blanco

    “We have been waiting for the Council for too long. We are ready to start negotiations immediately in order to reach an agreement under the Portuguese Presidency, thereby making progress on tax and corporate transparency. We urgently need meaningful financial transparency to fight tax evasion and profit shifting. Citizens’ trust in our democracies depends on everyone contributing their fair share to the recovery.”

    The European Parliament’s main additions

    The European Parliament’s main additions

    The Parliament’s position adds to the Commission’s original proposal, notably in the following ways:

    The Parliament’s positionCommission
    • the information requested from multinationals should be presented separately, including for each tax jurisdiction outside the EU;
    • multinationals must make their annual report on income tax information publicly available and free of charge, and file the report in a public registry managed by the Commission;
    • a safeguard clause for sensitive corporate data has been added, allowing multinationals to temporarily omit information when disclosing it would be seriously prejudicial to their commercial positions;
    • additional items of information will be provided in the tax reports to help achieve a more complete picture, such as information on the number of all full-time employees, fixed assets, stated capital, preferential tax treatment, or government subsidies;
    • subsidiaries with a turnover of EUR 750 million or more would also be subject to country-by-country reporting requirements.
  • the information requested from multinationals should be presented separately, including for each tax jurisdiction outside the EU;
  • multinationals must make their annual report on income tax information publicly available and free of charge, and file the report in a public registry managed by the Commission;
  • a safeguard clause for sensitive corporate data has been added, allowing multinationals to temporarily omit information when disclosing it would be seriously prejudicial to their commercial positions;
  • additional items of information will be provided in the tax reports to help achieve a more complete picture, such as information on the number of all full-time employees, fixed assets, stated capital, preferential tax treatment, or government subsidies;
  • subsidiaries with a turnover of EUR 750 million or more would also be subject to country-by-country reporting requirements.

  • Background

    Background

    This legislation is part of the EU’s regulatory measures to implement the OECD’s Base Erosion and Profit Shifting (BEPS) Action Plan 13. In essence, multinationals with annual turnovers of more than EUR 750 million will be required to provide an annual tax statement that breaks down key elements of the statements by tax jurisdiction. This will provide the public and tax authorities with more visibility on what taxes are being paid where.


    On 4 July 4 2017, Parliament adopted its amendments to the Commission’s proposal. It then reconfirmed its position in its first reading on March 27, 2019. On 24 October 2019, MEPs passed a strong resolution urgently calling on the member states to break the deadlock and enter inter-institutional negotiations.

    adoptedreconfirmed resolution

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  • Yasmina YAKIMOVA 

    Yasmina YAKIMOVA Yasmina YAKIMOVA 
    Press Officer 
    Press Officer Press Officer 
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  • Telefoonnummer: (+32) 2 28 42626 (BXL) 
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  • Telefoonnummer: (+33) 3 881 73774 (STR) 
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  • Mobiel telefoonnummer: (+32) 470 88 10 60 Mobiel telefoonnummer: (+32) 470 88 10 60Mobiel telefoonnummer:  
  • E-mail: yasmina.yakimova@europarl.europa.eu 
  • E-mail: yasmina.yakimova@europarl.europa.eu E-mail: yasmina.yakimova@europarl.europa.euE-mail:  
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    Further information 

    Further information 
    Further information 
  • Procedure file   Procedure file  
  • Committee on Economic and Monetary Affairs  Committee on Economic and Monetary Affairs 
  • Committee on Legal Affairs  Committee on Legal Affairs 
     
     
     
     
     

    Productinformatie 

    REF.:  20210301IPR98959 

    Productinformatie 

    Productinformatie 
    Productinformatie 
    Productinformatie 
    REF.:  20210301IPR98959 
    REF.:  20210301IPR98959 
    REF.: REF.:REF.: 20210301IPR98959 20210301IPR98959 

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