Prevention of Tax Treaty Abuse – Third Peer Review Report on Treaty Shopping
Inclusive Framework on BEPS: Action 6
The BEPS Action 6 minimum standard on preventing the granting of treaty benefits in inappropriate circumstances, is one of the four BEPS minimum standards that all members of the OECD/G20 Inclusive Framework on BEPS (Inclusive Framework) have committed to implement. This report reflects the outcome of the third peer review of the implementation of the Action 6 minimum standard on treaty shopping as approved by the Inclusive Framework. It includes the aggregate results of the review and data on tax treaties concluded by each of the 137 members of the Inclusive Framework on 30 June 2020 and it contains the jurisdictional section for each member. The data compiled for this peer review demonstrate that the MLI has been the tool used by the vast majority of jurisdictions that have begun to implement the minimum standard and that the MLI has started to impact tax treaties of jurisdictions that have ratified it.
Also available in: French
Singapore
Singapore has 88 tax agreements in force, as reported in its response to the Peer Review questionnaire. 28 of those agreements, the agreement with Australia, Austria, Belgium, Canada, Denmark, Finland, France, Georgia, Guernsey, India, Ireland, the Isle of Man, Israel, Japan, Jersey, Korea, Lithuania, Luxembourg, Malta, the Netherlands, New Zealand, Poland, the Slovak Republic, Slovenia, Turkmenistan*, Ukraine, the United Arab Emirates, and the United Kingdom, comply with the minimum standard Out of the 28 tax agreements, 26 are amended via the MLI, one is a new agreement signed with a new partner (Turkmenistan*), and one is a revised agreement signed with an existing partner (Korea)..
Also available in: French
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