1 / 13

TAX CO-OP CONFERENCE November 3, 2015 Montreal

This conference held in November 2015 in Montreal, discusses the intersections of morality and taxation, exploring legal and moral obligations surrounding tax payments. Key topics include the moral obligations of taxpayers, corporations, and the implications of tax avoidance. The event presents fundamental legal principles related to tax arrangements, impacts of tax legislation deficiencies, and potential solutions like public shaming, toughening legislation, reform processes, and wealth taxation. The conclusion emphasizes the need for effective measures to prevent tax avoidance by wealthy individuals and multinational enterprises.

vprather
Download Presentation

TAX CO-OP CONFERENCE November 3, 2015 Montreal

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. TAX CO-OP CONFERENCENovember 3, 2015Montreal MORALITY AND TAXATION Brian J. Arnold Senior Adviser, Canadian Tax Foundation, Toronto

  2. Basic Concepts • Where there is a legal obligation to pay tax, whether there is a moral obligation to pay is irrelevant • Where there is no legal obligation to pay tax, is there a moral obligation to pay? • debatable, but doubtful • even if there is a moral obligation, what are the consequences? • Is there a moral obligation not to try and avoid tax?

  3. Basic Concepts • Corporations are legal fictions • therefore, it makes no sense to talk about moral obligations of corporations • It is appropriate to talk about the moral obligations of directors, officers and shareholders of corporations

  4. Basic Concepts • Taxpayers and their professional tax advisers will act in their self-interest • no sense appealing to their moral obligation to pay their fair share

  5. Fundamental Legal Principles • Duke of Westminster principle – everyone has the right to arrange his or her affairs to minimize tax – is widely recognized • Implications: no obligation to pay any more than than the law requires or not to take actions that reduce tax • Competing principle: everyone has an obligation to pay their fair share (abuse of rights) • implications: what is one’s fair share? who determines what one’s fair share is? • Impossible to base a tax system on such nebulous standards

  6. Fundamental Legal Principles • Real question is: What actions can persons take to avoid tax? • is this a moral issue or just a legal issue? • is the analysis the same for taxpayers and tax advisers? • If it’s a moral issue – no clear standard; up to each individual • If it’s a legal issue – standard varies from country to country; result of tax rules and case law

  7. Fundamental Legal Principles • Problems often occur where: • tax legislation is deficient • courts adopt benign approach to tax avoidance • emphasis on textual interpretive principle: if an action isn’t prohibited, then it’s allowed • tax consequences are based on the legal form of transactions • taxpayers and their professional advisers are aggressive

  8. Solutions • Morality may be an effective basis for public naming and shaming of MNEs by journalists, NGOs and politicians • The coverage of tax issues by the general media is usually poor • Criminal prosecutions for tax evasion are not effective

  9. Solutions • Tougher legislation to alter the risk/reward analysis for taxpayers and tax advisers • Regulate the tax advisory profession • Better courts: “The ultimate question is whether the relevant statutory provisions, construed purposively, were intended to apply to the transaction, viewed realistically.” (Arrowtown Assets Ltd. [2004] 1 HKLRD 77 (HKCA)) • Better enforcement by CRA and Justice

  10. MNEs and BEPS • Oxfam report refers to “rigged” and uncoordinated international tax rules that allow MNEs to “dodge” taxes • Wealthy individuals exploit loopholes and secrecy

  11. NGO Solutions for BEPS OECD/G20 solutions: • Reform process in which developing countries participate equally • Country-by-country reporting • Make companies taxable based on their real economic activity • Automatic exchange of information

  12. NGO Solutions for BEPS Other solutions: • Taxes on wealth • Stop the use of tax havens with a blacklist and sanctions • Worldwide formulary apportionment • Transparency for tax incentives

  13. Conclusion • Taxpayers, especially wealthy individuals and MNEs, should not be able to easily avoid paying tax • blame/responsibility rests squarely on the tax authorities, the courts and the legislature to deal more effectively with tax avoidance

More Related