Global Policy Forum

For whose benefit? A different perspective on Tax Inspectors Without Borders

57fe3a1bde44eTaxation of multinational corporations is of utmost importance to developing countries, which on average generate around 10% of government revenues from this source. However, there are clear indications that the current international system is not working. One type of tax avoidance alone is currently costing developing countries between $70 billion and $120 billion per year. While often considered highly immoral, such international tax avoidance is often, technically speaking, legal. One of the solutions proposed to developing countries to increase their capacity to collect taxes from MNCs’ activities in their territory is the offer of ‘capacity development’ and ‘technical assistance’ on taxation. One initiative that follows this logic is Tax Inspectors Without Borders (TWIB), launched in 2013 as a pilot project by OECD. A new report by Eurodad looks at the current design of TIWB, as well as three TIWB pilots which have taken place between the UK and Rwanda; the Netherlands and Ghana; and France and Senegal, respectively.




October 13, 2016 | Eurodad

For whose benefit?

A different perspective on Tax Inspectors Without Borders

For more and for downloading the report, visit http://eurodad.org/TIWB

Executive Summary

Taxation of multinational corporations is of utmost importance to developing countries, which on average generate around 10% of government revenues from this source. However, there are clear indications that the current international system is not working. One type of tax avoidance alone is currently costing developing countries between $70 billion and $120 billion per year. While often considered highly immoral, such international tax avoidance is often, technically speaking, legal.

One of the solutions proposed to developing countries to increase their capacity to collect taxes from MNCs’ activities in their territory is the offer of ‘capacity development’ and ‘technical assistance’ on taxation. While there is broad agreement that this is important and urgent, questions arise about how capacity development and technical assistance should be carried out. In particular, the importance of respecting the principles of aid effectiveness and avoiding conflicts of interest between the providers and recipients are central issues.

The Tax Inspectors Without Borders (TWIB) initiative was launched in 2013 as a pilot project by the Organisation for Economic Development and Cooperation (OECD) – also known as the ‘Rich Countries’ Club’. In 2015, the United Nations Development Programme (UNDP) joined the initiative, which is now jointly managed by the OECD and UNDP. One of the special features of the initiative is that it entails a deployment of foreign experts directly into the tax administrations of developing countries – an area that is highly sensitive.

However, the outcome of the TIWB pilot phase has not been thoroughly analysed or discussed, and while the initiative has been widely communicated through the media, the amount of publicly available information about the actual content and experiences of TIWB is extremely limited.

This report looks at the current design of TIWB, as well as three TIWB pilots which have taken place between the UK and Rwanda; the Netherlands and Ghana; and France and Senegal, respectively. It looks at official information available about TIWB and draws on interviews with experts. However, since it has not been possible to access detailed information about the TIWB pilot phase through public sources, this report has also drawn on internal unpublished OECD documents, with the aim of shedding new light on the issue.

The main findings are as follows:

• The internal OECD documents on the TIWB deployments indicate that neither Rwanda, Ghana nor Senegal were leading the processes when the TIWB pilot projects in their countries were initiated. For example, it is mentioned that the UK was “in the lead during the whole process” and that Rwanda had a “low level of comprehension’ of the TIWB concept. Similarly, it is said that the Netherlands was “in the lead”, that ‘Ghana had a passive role in the process’, and that there was ‘no involvement’ of Senegal in the drafting of terms of reference for the France-Senegal project. This not only seems to be contrary to the aid effectiveness principle on developing country ownership and leadership, it also indicates a clear contradiction to one of the main characteristics of the initiative as stated in the TIWB Toolkit.

• Serious conflicts of interest seem to have occurred, and there is a clear risk of further conflicts. In the case of the UK and Rwanda, PricewaterhouseCoopers (PWC), a company which provides advice to multinational corporations on their tax planning, played a central management role in the pilot project. Furthermore, in all three cases, the donor countries - which are in these cases also providing experts to be deployed into the tax administrations of the recipient countries - have substantial corporate interests in the recipient country.

• Despite a number of changes having occurred since the pilot phase, today the TIWB still does not seem to have a clear mechanism for avoiding similar problems in the future.

• Only very limited information is publicly available about the TIWB process itself and the design of the projects, deployments, actors involved and funding. This is despite the fact that taxation is a highly political issue in which the public has a strong interest.

 

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