A Plea for a Workforce Presence PE Concept in a Post-Covid Digitalized World
Apstrakt
This paper begins with the recapitulation of the generally accepted view that the key problem with the current permanent establishment (PE) definition in international tax treaty law, particularly regarding the new digital economy, lies in its dependence on the existence of a fixed place of business in the source state. It continues with invoking what seems to have been the goal of the Base Erosion and Profit Shifting (BEPS) initiative, the BEPS promise, to conduct an extensive revision of the foundations of international tax law, among which the PE principle and the corresponding PE definition hold a prominent place, in order to ensure their endurance in the new digital age. An analysis of the Multilateral Instrument (MLI) provisions shows that, post 2017, the PE definition is exactly where it was in the past as the changes introduced by virtue of the MLI addressed long existing questions that arose in the distant analogous past. The author shows that the quest to compensate the marke...t/user jurisdiction, which is driving the post MLI digital economy taxation debate. It is overly focused on one particular issue and overlooks the problem that digital business models are capable of creating their products and services anywhere without having a fixed place of business in the classical sense. Based on this premise, the paper concludes with a plea for the introduction of a new PE form - the work jurisdiction PE or, to be more precise, a workforce presence PE concept. This appeal also serves to bring the current international tax law debate more in accordance with the interests of developing countries.
Ključne reči:
place of work / PE / home office / fixed place of business / digital economyIzvor:
Intertax, 2021, 49, 10, 758-770Izdavač:
- Kluwer Law Int, Alphen Aan Den Rijn
Institucija/grupa
Pravni fakultet / Faculty of Law University of BelgradeTY - JOUR AU - Kostić, Svetislav PY - 2021 UR - https://ralf.ius.bg.ac.rs/handle/123456789/1273 AB - This paper begins with the recapitulation of the generally accepted view that the key problem with the current permanent establishment (PE) definition in international tax treaty law, particularly regarding the new digital economy, lies in its dependence on the existence of a fixed place of business in the source state. It continues with invoking what seems to have been the goal of the Base Erosion and Profit Shifting (BEPS) initiative, the BEPS promise, to conduct an extensive revision of the foundations of international tax law, among which the PE principle and the corresponding PE definition hold a prominent place, in order to ensure their endurance in the new digital age. An analysis of the Multilateral Instrument (MLI) provisions shows that, post 2017, the PE definition is exactly where it was in the past as the changes introduced by virtue of the MLI addressed long existing questions that arose in the distant analogous past. The author shows that the quest to compensate the market/user jurisdiction, which is driving the post MLI digital economy taxation debate. It is overly focused on one particular issue and overlooks the problem that digital business models are capable of creating their products and services anywhere without having a fixed place of business in the classical sense. Based on this premise, the paper concludes with a plea for the introduction of a new PE form - the work jurisdiction PE or, to be more precise, a workforce presence PE concept. This appeal also serves to bring the current international tax law debate more in accordance with the interests of developing countries. PB - Kluwer Law Int, Alphen Aan Den Rijn T2 - Intertax T1 - A Plea for a Workforce Presence PE Concept in a Post-Covid Digitalized World EP - 770 IS - 10 SP - 758 VL - 49 UR - conv_3309 ER -
@article{ author = "Kostić, Svetislav", year = "2021", abstract = "This paper begins with the recapitulation of the generally accepted view that the key problem with the current permanent establishment (PE) definition in international tax treaty law, particularly regarding the new digital economy, lies in its dependence on the existence of a fixed place of business in the source state. It continues with invoking what seems to have been the goal of the Base Erosion and Profit Shifting (BEPS) initiative, the BEPS promise, to conduct an extensive revision of the foundations of international tax law, among which the PE principle and the corresponding PE definition hold a prominent place, in order to ensure their endurance in the new digital age. An analysis of the Multilateral Instrument (MLI) provisions shows that, post 2017, the PE definition is exactly where it was in the past as the changes introduced by virtue of the MLI addressed long existing questions that arose in the distant analogous past. The author shows that the quest to compensate the market/user jurisdiction, which is driving the post MLI digital economy taxation debate. It is overly focused on one particular issue and overlooks the problem that digital business models are capable of creating their products and services anywhere without having a fixed place of business in the classical sense. Based on this premise, the paper concludes with a plea for the introduction of a new PE form - the work jurisdiction PE or, to be more precise, a workforce presence PE concept. This appeal also serves to bring the current international tax law debate more in accordance with the interests of developing countries.", publisher = "Kluwer Law Int, Alphen Aan Den Rijn", journal = "Intertax", title = "A Plea for a Workforce Presence PE Concept in a Post-Covid Digitalized World", pages = "770-758", number = "10", volume = "49", url = "conv_3309" }
Kostić, S.. (2021). A Plea for a Workforce Presence PE Concept in a Post-Covid Digitalized World. in Intertax Kluwer Law Int, Alphen Aan Den Rijn., 49(10), 758-770. conv_3309
Kostić S. A Plea for a Workforce Presence PE Concept in a Post-Covid Digitalized World. in Intertax. 2021;49(10):758-770. conv_3309 .
Kostić, Svetislav, "A Plea for a Workforce Presence PE Concept in a Post-Covid Digitalized World" in Intertax, 49, no. 10 (2021):758-770, conv_3309 .