Senate debates

Thursday, 13 October 2016

Bills

International Tax Agreements Amendment Bill 2016; Second Reading

12:46 pm

Photo of Scott RyanScott Ryan (Victoria, Liberal Party, Special Minister of State) Share this | Hansard source

I move:

That this bill be now read a second time.

I seek leave to have the second reading speech incorporated in Hansard.

Leave granted.

The speech read as follows—

This Bill will amend the International Tax Agreements Act 1953 to give the force of law to the new tax treaty signed by Australia and Germany on 12 November 2015. The tax treaty is known as the Agreement between Australia and the Federal Republic of Germany for the Elimination of Double Taxation with respect to Taxes on Income and on Capital and the Prevention of Fiscal Evasion and Avoidance, and its Protocol (the new Agreement).

The Bill will further enhance the already strong economic relations between Australia and Germany.

It will encourage trade and investment between Australia and Germany that will support Australian firms and our economy.

International trade and investment creates opportunities for Australia through the provision of goods and services and the injection of foreign capital.

As our economy transitions to broad based growth it is important that we continue to attract foreign investment. But we need the right policy environment for trade and investment in order to take advantage of these opportunities.

The Government has therefore modernised its existing bilateral tax treaty with Germany to reflect changes arising from international developments.

Australians are increasingly concerned about the actions of multinational companies and high wealth individuals who avoid paying their fair share of tax. This new Agreement replaces the old Agreement which was signed in 1972, bringing bilateral tax arrangements into the twenty-first century.

Importantly, the new Agreement is Australia's first tax treaty that has incorporated the integrity provisions of the G20/OECD Base Erosion and Profit Shifting project, known as BEPS. These provisions are designed to minimise tax avoidance opportunities and ensure that multinational corporations pay the right amount of tax.

This new Agreement includes the BEPS minimum standards for protecting against treaty shopping, to counter the channelling of investments through conduit companies to exploit treaty protections with a view to avoiding Australian tax.

This is an important landmark in the fight against multinational tax avoidance and strengthens the Government's already tough tax anti-avoidance laws. In relation to fiscal evasion, the new Agreement will:

      The new Agreement will also improve tax certainty for business by introducing new anti-discrimination and arbitration rules, as well as a range of rules to prevent potential double taxation.

      From a trade perspective, the new Agreement will create new opportunities for Australian businesses by reducing withholding tax rates, helping to create a more favourable bilateral investment environment and making it cheaper for Australian business to access German capital and technology.

      The new Agreement will also expand treaty benefits for income received by Australian managed investment trusts and certain German collective investment vehicles, and establish source country taxation of pensions in limited circumstances.

      The new Agreement will enter into force following the enactment of this Bill.

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