Many commentators have described the G7 London agreement on new global taxation rules signed on 05 June as a historic event. In detail, the major industrialized countries have committed to:
- Award market countries "taxing rights on at least 20% of profit exceeding a 10% margin for the largest and most profitable multinational enterprises";
- Implement “a global minimum corporate tax of at least 15% on a country by country basis".
The agreement also provides for the removal of all Digital Services Taxes, introduced in recent years by several European countries and which directly target US high-tech multinationals. In fact, the agreement signed by the G7 closely follows recent Biden Administration proposals. The compromise reached could mark the return of multilateralism in international relations after years of increasing isolationism on the part of the USA.
Beyond the hype with which the agreement has been presented, a few points are worth noting:
- The agreement is not yet operational and it will be a long time before it is;
- Not many details are provided in the G7 communiqué, a choice dictated by the need to leave room for future negotiations with other countries;
- In order for the agreement to be effective it is necessary that the main developed and emerging countries sign it, otherwise multinationals would easily find a way around it;
- The proposed global minimum rate of 15% is lower than the average rate in force in 2020, which could facilitate a large-scale agreement (see Chart1);
- Many other details remain to be worked out before the new rules are applicable and one of the most important, and therefore a likely source of controversy, will be the method of calculating corporate taxable income.