Support For Global Minimum Tax And New Allocation Rules Announced From G-7 Finance Ministers

The Group of Seven finance ministers on June 5 issued a statement in support of a 15% global minimum tax imposed on a country-by-country basis, and expressed a commitment to reaching “an equitable solution” on the allocation of taxing rights among jurisdictions.

The G-7 ministers, representing Canada, France, Germany, Italy, Japan, the UK and the U.S., met in London on June 4-5 to discuss economic initiatives to encourage deeper multilateral economic cooperation.

Pillars 1 and 2

The ministers endorsed the efforts being led by the G20/OECD Inclusive Framework to address the tax challenges arising from globalization and the digitalization of the economy and to adopt a global minimum tax. The OECD’s initiative centers around a two-pronged proposal issued in late 2019. Pillar 1 of the OECD blueprint would revamp tax allocation rules so that a portion of a multinational entity’s residual profit would be taxed in the jurisdiction where the revenue is sourced. Such an allocation would award taxing rights to market countries – broadly, those where a digital business’s users are located — on at least 20% of profits that exceed a 10% margin in the case of the largest and most profitable multinational enterprises. Some of those profits would be allocated using a formula rather than the arm’s length standard. Pillar 2 focuses on the implementation of a global minimum tax.

The announcement in essence declares the ministers’ support for both Pillars 1 and 2 of the OECD plan, and advocates for the notion of reaching agreement on both pillars in tandem.

The ministers vowed to provide international coordination to apply the proposed international tax rules and repeal the various digital services taxes that have proliferated in recent years.

Treasury Secretary Janet Yellen issued remarks following the close of the finance ministers’ meeting decrying the “global race to the bottom” whereby countries compete by lowering their tax rates.

Yellen lauded the G7 for taking significant steps by committing to a global minimum tax at a rate of “at least 15%.” She did not address the allocation of taxing rights– Pillar 1–in her comments, but at a subsequent press conference, Yellen acknowledged the agreement the finance ministers reached on that topic. Yellen added that the timing of implementation of the agreements remains to be worked out, and stated that “there is broad agreement that these two things go hand in hand.”

Time Frame

While achieving high-level political consensus on these international tax issues at the G7 stage is an important milestone, it is only the first step in a long process.

The next step in that process is the June 30-July 1 meeting of the OECD’s 139-member Inclusive Framework in Paris. 

The finance ministers in their communiqué stated their desire to reach agreement on these proposals at the next meeting of the G20 finance ministers and Central Bank governors, scheduled for July 9-10 in Venice. This meeting is expected to yield at least “the outline of a deal,” according to former OECD Secretary General Angel Gurría.

The international meetings will culminate at an Oct. 29-31 meeting of the G-20 leaders in Rome, where participants may finalize the international tax plan.

Domestic legislation in each individual jurisdiction will then have to be enacted to implement any agreement reached by the G-20 and the Inclusive Framework. The timeline for this broad global enactment is uncertain.

Tax Blueprint As Part of American Jobs Plan Unveiled

The Biden administration on March 31, 2021, unveiled a jobs and infrastructure plan, the American Jobs Plan, to address the nation’s pressing infrastructure needs. The plan calls for about $2 trillion in spending over eight years. To pay for these expenditures, the plan also includes a proposed overhaul of the corporate tax system that would increase the corporate tax rate and the global minimum tax, eliminate federal tax benefits for fossil fuel companies, and strengthen enforcement against corporations.

While the proposed spending would be spread out over eight years, the tax increases would continue for 15 years.
 

Proposed Tax Measures The White House released a Fact Sheet that lists the proposed tax measures under the plan:

Corporate Tax Rate — The Biden plan would increase the corporate tax rate from 21% to 28%. The rate had been reduced by the Trump administration from 35% to the current rate of 21%.

Global Intangible Low-Taxed Income (GILTI) Modifications – President Biden’s proposal would increase the effective rate on GILTI for U.S. corporations to 21% and calculate GILTI on a country-by-country basis. It also would eliminate the rule that allows U.S. companies to reduce their GILTI inclusion by 10 percent of their average adjusted basis of qualified business asset investments.

Encourage Other Countries to Adopt a Minimum Tax Regime – The plan proposes to encourage other countries to adopt strong minimum taxes on corporations, and deny deductions to foreign corporations on payments that could allow them to strip profits out of the U.S. if they are based in a country that does not adopt a strong minimum tax.

Inversions – In addition to enacting reforms that would remove incentives for U.S corporations to invert, President Biden’s proposal would make the inversion process more difficult.

Offshoring/Onshoring Jobs –President Biden’s reform proposal would deny companies deductions generated by offshoring jobs and would also propose a tax credit to support the onshoring of jobs.

Eliminate the Foreign Derived Intangible Income (FDII) deduction and Invest in R&D Incentives – The Biden plan proposes the complete elimination of the FDII deduction, which was introduced as part of the Tax Cuts and Jobs Act. The revenue collected as a result of the repeal of the FDII deduction would be used to expand other R&D investment incentives.

Minimum Tax on Book Income – The plan  includes a proposed 15 percent minimum tax on U.S. corporations’ book income, which would apply only “to the very largest corporations,” according to the Fact Sheet.

Tax Preferences for Fossil Fuels – Biden’s plan would eliminate all subsidies, loopholes, and special foreign tax credits for the fossil fuel industry.

Enforcement – The plan calls for increased investment in enforcement so that the Internal Revenue Service has the necessary resources to effectively enforce the tax laws.

Deadline For PPP Loan Applications Extended

The U.S. Senate passed legislation (PPP Extension Act of 2021) on March 25, 2021 that provides a 60-day extension for eligible employers to apply for a Paycheck Protection Program (PPP) loan. The House of Representatives approved the legislation on March 16, 2021.
 
The application deadline was set to expire on March 31, 2021, but now employers have until May 31, 2021. The act also gives the Small Business Administration (SBA) an additional 30 days through June 30, 2021 to process the loan applications filed by the end of May.

The PPP was created as part of the Coronavirus Aid, Relief, and Economic Security Act (CARES Act) on March 27, 2020 and was originally designed to help small businesses pay wages during the coronavirus pandemic with loans that would be paid off tax free by the federal government provided the borrower could prove that the funds were spent on eligible expenses during the specified time. Subsequent legislation, the Consolidated Appropriations Act, 2021, which included $284 billion additional funding and the American Rescue Plan Act of 2021 (ARPA), which included $7.25 billion additional funding, expanded the forgivable expenses that borrowers can pay with the funds, made more employers eligible borrowers and created a second draw of PPP loan funds that is more targeted to very small companies with decreased revenue.

Notwithstanding the fact that the PPP Extension Act does not provide any further funding for the PPP beyond that provided in the CAA and ARPA, it does provide access to the approximate $80 billion that has not yet been disbursed.
 
The Senate-approved legislation will now be sent to President Biden for his signature.
 

UPCO Insights

The SBA’s new checks and balances that are applied to second draw loan requests slowed the disbursement of funds. Also, many newly eligible borrowers did not have guidance from the SBA on how to apply the rules when making their application until the March 31, 2021 deadline was imminent. The additional 60 days to apply for a PPP loan is a crucial measure to help ensure that the earmarked funds can reach the program’s intended recipients.