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2019 Int'l Tax Stud. 2 (2019)
Taxation in the Digital Economy - Recent Policy Developments and the Question of Value Creation

handle is hein.journals/itnltxs2019 and id is 74 raw text is: 



                                                             Marcel Olbert and Christoph Spengel



Taxation in the Digital Economy - Recent Policy Developments

and the Question of Value Creation


Marcel Olbert and  Christoph Spengel


This article reviews the evidence regarding the challenges of digitalization for direct (corporate profit) and
indirect (consumption)  taxation. Based on both anecdotal and empirical evidence, the authors evaluate ongoing
developments  at the OECD  and EU  level and argue that there is no justification for introducing a new tax order
for digital businesses. In particular, the significant digital presence and the digital services tax as put forward
by the European  Commission   will most likely distort corporate decisions and spur on tax competition. To
contribute to the development of tax rules in line with value creation as the gold standard for profit taxation,
the article discusses data as a new value-driving asset in the digital economy. It draws on insights from
interdisciplinary research to highlight that the value of data emerges through proprietary activities conducted
within businesses. The authors ultimately discuss how existing transfer pricing solutions can be adapted to
business models  employing data mining.


1. Introduction

Digitalization has become   the leading phenomenon
in the  world today  since the  industrial revolution.
Scholars, politicians and businesses uniformly  agree
that the digitalization of both society and the economy
poses several challenges to the international business
tax framework.   Most  economists  and  supranational
organizations  add  optimistic predictions  of future
economic  growth,  innovation and  societal change to
the first statement on digitalization.' With regard to
taxation, however, considerable controversy in the tax
community   prevails. The inherent discussion is gain-
ing momentum and importance since the recent pub-
lication of the OECD's interim report on the tax chal-
lenges arising from digitalization2 and the European
Commission's   proposals on  new  tax rules targeting
digital firms.3 In this article, the authors review the
academic  evidence regarding the tax challenges of dig-



*    Marcel Olbert is a PhD student and research assistant
     under Prof. Dr Christoph Spengel at the University of
     Mannheim. Prof. Dr Christoph Spengel holds the Chair of
     Business Administration and Taxation II at the University
     of Mannheim and is director and speaker of the Leibniz
     Science Campus MannheimTaxation  (MaTax) at the
     University of Mannheim and ZEW. The authors gratefully
     acknowledge the support of MaTax and PAKT.
1.   E. Brynjolfsson & A. McAfee, Machine, Platform, Crowd :
     Harnessing Our Digital Future, pp. 1-12 (W.W. Norton &
     Company 2017); E. Brynjolfsson & T. Mitchell, What Can
     Machine Learning Do? Workforce Implications, 358 Science
     6370, pp. 1530-1534 (2017); OECD, The Internet of Things:
     Seizing the Benefits and Addressing the Challenges, OECD
     Digital Economy Papers, No. 252 (OECD 2016); OECD,
     OECD Digital Economy Outlook 2017 (OECD 2017).
2.   OECD, Tax Challenges Arising from Digitalisation - Interim
     Report 2018 (OECD 2018), Primary Sources IBFD.
3.   European Commission, Proposal for a Council Directive on
     the Common System of a Digital Services Tax on Revenues
     Resulting from the Provision of Certain Digital Services,
     COM(2018) 148 final, Primary Sources IBFD; European
     Commission, Proposal for a Council Directive Laying Down
     Rules Relating to the Corporate Taxation of a Significant
     Digital Presence, COM(2018) 147 final, Primary Sources
     IBFD.


italization and critically assess current reform propos-
als against the background  of this (lacking) evidence
and the economic  consequences  of digitalization. The
authors further discuss how to reach the oft-cited goal
of aligning taxation with value creation in a pragmatic
and timely manner.

An  abundant  literature on international taxation in
the digital economy  has  emerged  since the OECD's
Action  Plan  on  Base  Erosion  and  Profit Shifting
(BEPS),4 and  even  more  publications build  on and
criticize these articles and the OECD's work published
in the OECD's  2015 Final Report Addressing  the Tax
Challenges  of the Digital Economy.5 It is neither the
aim  nor within the scope  of this article to provide a
comprehensive   overview.6 However, the  authors note
that there is no in-depth analysis of what the current
tax challenges are and that no scientific evidence exists
for the asserted flaws in the existing tax system.'8 The


4.   OECD, Addressing Base Erosion and Profit Shifting (OECD
     2013), Primary Sources IBFD.
5.   OECD/G20, Addressing the Tax Challenges of the Digital
     Economy - Action 1: Final Report (OECD 2015), Primary
     Sources IBFD.
6.   See M. Olbert & C. Spengel, International taxation in the
     digital economy: challenge accepted, 9 World Tax J. 1, pp. 3-46
     (2017), Journal Articles & Papers IBFD, for a review of articles
     published up to early 2017.
7.   W. Schdn, Ten Questions About Why and How to Tax the
     Digitalized Economy, 72 Bull. Intl. Taxn. 4/5, pp. 278-292
     (2018), Journal Articles & Papers IBFD.
8.   Different scholarly proposals take on the paramount view in
     that the current tax system, in general, is unable to solve the
     challenges of the digital economy and that a fundamental tax
     reform is needed, e.g., P. Hongler & P. Pistone, Blueprints for
     a New PE Nexus to Tax Business Income in the Era of a Digital
     Economy, White Paper (2015), Journal Articles & Papers
     IBFD; Y. Brauner & A. Baez Moreno, Withholding Taxes in
     the Service of BEPS Action 1: Address the Tax Challenges of
     the Digital Economy, White Paper (2015), Journal Articles
     & Papers IBFD; M.P. Devereux & J. Vella, Implications
     of Digitalization for International Corporate Tax Reform,
     WP  17/07, Working Paper Series, Oxford University Centre
     for Business Taxation (2017); U. Schreiber & L.M. Fell,
     International Profit Allocation, Intangibles and Sales-Based
     Transactional Profit Split, 9 World Tax J. 1 (2017), Journal


INTERNATIONAL TAX STUDIES 3-2019 12


0 IBFD

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