Decade of Reflections on the First OECD BEPS Program: Salvation or Condemnation for Financial Transactions?
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- 10.1628/fa-2026-0002
The examination of the OECD BEPS initiative, particularly Actions 4 and 8-10, reveals positive
strides in the realm of international tax regulation aimed at curbing base erosion
and ensuring that multinational companies' profits are aligned with where value is created.
Action 4 introduced limitations on interest deductions, while Actions 8-10 brought
updates to transfer pricing rules, emphasizing economic substance. Although there has
been significant progress, there remain complexities, such as heightened compliance requirements
and intricate tax issues, highlighted by the subtleties in the Dutch system and
exemplary treatment of cash pooling. The analysis underscores the need for a balance between
theoretical tax models and their practical application within business operations,
suggesting ongoing revisions to international standards to maintain equitable and effective
tax systems. As local tax regulations, including the Dutch transfer pricing landscape,
continue to adapt through initiatives like BEPS 2.0, there is an encouragement for the
OECD to further refine its guidelines to ensure they are both pragmatic and equitable.