About | HeinOnline Law Journal Library | HeinOnline Law Journal Library | HeinOnline

2019 World Tax J. 3 (2019)

handle is hein.journals/wldtxjrn2019 and id is 1 raw text is: 



                                                              Stef van   Weeghel*


A   Deconstruction of the Principal Purposes Test

This article provides for a critical examination of the principal purposes test (PPT) of
article 29(9) of the 2017 OECD Model Income Tax Convention on Income  and on Capital.
The focus is on the second part of the PPT, which allows for the granting of treaty benefits
in the presence of a tax avoidance motive if that would be in accordance with the object
and purpose of the relevant provisions of the OECD Model. Questions are raised as
to how exactly the object and purpose are determined, the consistency of the relevant
parts of the Commentary  on the 2017 OECD  Model is discussed, and the Examples that
purport to clarify the application of the PPT are critically reviewed. Finally, an effort
is made to come to a sensible and workable synthesis of the various aspects of the PPT,
including the nexus part and the abusive transactions part thereof, which will be
addressed in some detail, and a concept is explored to extend the multilateral approach
taken with respect to the minimum standard of the BEPS Action 6 Final Report to the
nexus part of the PPT.

Contents
1.  Introduction                                                                    3
2.  Historical Context                                                              5
3.  One of the Principal Purposes: Relationship with the Object and Purpose and the 11
    Burden of Proof
4.  Object and Purpose of a Treaty versus Object and Purpose of the Relevant Provisions  14
    of this Convention
5.  Case Law                                                                       19
6.  Object and Purpose: A Common Denominator?                                      23
7.  Commentary  on Article 29(9): Some Coherence Questions                         27
8.  The Examples: Guidance in Search of a Principle?                               31
9.  A Sensible Synthesis?                                                          38
10. Some  Thoughts on Multilateralism versus Bilateralism                          42
11. Conclusion                                                                     43

1. Introduction

The object and purpose  of this article is to deconstruct article 29(9) of the 2017 OECD
Model  Tax Convention  on Income  and on Capital' (2017 OECD  Model)  on the principal
purposes test (PPT). That deconstruction will mostly explore the second part of the PPT,
which  is now commonly   referred to as the objective test: unless it is established that
granting that benefit in these circumstances would be in accordance with the object and




*     Professor of International Tax Law at the University of Amsterdam, Chair of the Board of Trustees at
      IBFD, immediate past chair of the Permanent Scientific Committee of IFA, Global Tax Policy Leader
      PwC. The author wishes to thank Hugh Ault, Luc De Broe, Robert Danon and Adolfo Martin Jimenez
      for their kind review of earlier versions of this article. Their critical comments have contributed to
      the quality of this article. Shortcomings, digressions and leaps of thought inevitably present in this
      article remain the responsibility of the author. The author is also grateful to his PwC colleague Phil
      Greenfield for editorial comments and Erisa Nuku for research and editorial assistance.
1.    OECD Model Tax Convention on Income and on Capital (21 Nov. 2017), Models IBFD [hereinafter OECD
      Model (2017)]. All references to the OECD Model have been specified with a date, unless a general refer-
      ence was intended.


WORLD TAX JOURNAL  FEBRUARY 2019 13


© IBFD

What Is HeinOnline?

HeinOnline is a subscription-based resource containing thousands of academic and legal journals from inception; complete coverage of government documents such as U.S. Statutes at Large, U.S. Code, Federal Register, Code of Federal Regulations, U.S. Reports, and much more. Documents are image-based, fully searchable PDFs with the authority of print combined with the accessibility of a user-friendly and powerful database. For more information, request a quote or trial for your organization below.



Short-term subscription options include 24 hours, 48 hours, or 1 week to HeinOnline.

Contact us for annual subscription options:

Already a HeinOnline Subscriber?

profiles profiles most