The body, headed by Mark Everson, is planning to stop US financial institutions from setting up structures outside the country that avoid tax through a partnership with a foreign bank. The set-ups see the institution and its foreign partner pool assets and pay tax on the assets in the country where they are held.
The US company then claims a tax credit on the foreign tax paid to avoid double taxation, while the foreign partner also claims a tax credit. This structure allows the foreign partner to lend cash to the special purpose vehicle at lower interest rates.





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