

Department of Finance of Ireland began meeting on the changes in the tax agreement with the United States.
The Department explained that the update is seen as necessary in accordance with the decision of the United States to upgrade its model tax treaty.
The United States took into account the recommendations on the update within reduce their tax base and shift profits. For example, in 2016, the model does not reduce withholding taxes on payments to highly mobile income – income that taxpayers can easily shift around the globe through deductible payments such as royalties and interest rates – which are made by persons who enjoy low or no tax in respect of income in accordance with the preferential tax regime.
In addition, a new article obliges the partners to the extent necessary to make changes to the contract, if the changes cause a doubt one of the partners in the domestic law. Model 2016 also includes measures to reduce the tax benefits of corporate inversions.
The update also included the US regulations, which provide that disputes between countries in the application of a double taxation agreement should be resolved through binding arbitration through the “last best offer”.
In announcing the meeting, the Department of Finance of Ireland said: “The reduction of the tax base, and reports on the removal of funds, published in October 2015, led to a series of recommendations to update tax treaties at the global level, countries around the world, including Ireland.”
“The Department of Finance and Taxes calls upon to give written comments from interested parties under the contract renewed US tax model with an Irish point of view,” he added.