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Fifty Shades of Tax Dodging • 45<br />

According to information disclosed by the Commission to the<br />

European Parliament’s special committee on tax rulings, the<br />

Commission initiated 65 state aid cases in relation to taxation<br />

in the period 1994 to 2012. The least active period in these 19<br />

years was the five years leading up to 2012, when only two<br />

cases were initiated. 275 This compares to the 45 cases that<br />

were initiated in the five-year period of 1998 to 2002, the five<br />

most active years during this period. 276 Against this backdrop,<br />

it is clear that the pursuit of the current six active state aid<br />

investigations on tax are a welcome improvement. However,<br />

neither represents a particularly unique or ambitious level,<br />

when seen in a historical perspective.<br />

The Commission has always been the main driving force<br />

behind the proposal for more coordinated corporate tax<br />

enforcement in the EU in the form of the CCCTB proposal.<br />

However, as explained, the current plans to re-launch a<br />

watered down version of the CCCTB proposal has made<br />

some wary of whether or not the proposal will actually<br />

succeed in achieving more than opening up new doors for<br />

even lower rates of taxation for multinational companies. 277<br />

Global solutions<br />

On the issue of an intergovernmental body on tax matters<br />

under the UN, the Commission has not put forward its own<br />

public position. However, it has published a communication 278<br />

on the broader issues around financing for development,<br />

including tax matters. Rather than responding to the call to<br />

give developing countries a seat at the table when global tax<br />

standards are decided, the communication underlined that<br />

all countries must implement the global standards that are<br />

being developed by the OECD and G20. This quite regressive<br />

position was fortunately not picked up by the EU ministers,<br />

when they adopted their position on the matter in May<br />

2015. 279 However, at the same time, the EU Member States<br />

and the Commission, speaking with one voice in the UN<br />

negotiations on Financing for Development, argued strongly<br />

against the proposal to grant developing countries a seat at<br />

the table.<br />

Conclusion<br />

Immediately after LuxLeaks, the Finance Ministers of<br />

Germany, France and Italy wrote a letter to the Commission<br />

calling on it to develop a “comprehensive” directive to tackle<br />

tax dodging to be supported by Member States by the end of<br />

2015. 280 While the Commission has been active in the area of<br />

state aid investigations, it is becoming clear as we approach<br />

the deadline set by the three Finance Ministers that the<br />

Commission has not been able to deliver a comprehensive<br />

legislative response to the tax dodging challenge. The<br />

Commission justifies the lack of progress by pointing to the<br />

need for consensus within the Council. However, in the context<br />

of a massive public outcry against tax dodging and Juncker’s<br />

warning that this would be the last-chance Commission, such<br />

an approach of aiming for the lowest common denominator in<br />

the Council seems remarkably unambitious.<br />

The transparency measures pursued by the Commission<br />

so far have also been less than impressive. However, a<br />

major opportunity for the Commission to deliver remains<br />

in upcoming negotiations about the shareholders’ rights<br />

directive, where the European Parliament has introduced the<br />

proposal of having public country by country reporting and<br />

making tax rulings public.<br />

In a recent technical analysis, the Commission noted that<br />

“there is evidence that tax base spill-overs are particularly<br />

marked, when it comes to developing countries.” 281 However,<br />

whether it is the proposals on how to exchange tax rulings,<br />

how to exchange banking information or the need for public<br />

disclosure, the Commission has unfortunately done little to<br />

reflect this insight in its policies, and seems instead to be<br />

systematically ignoring the interests of developing countries.<br />

Nonetheless, despite these serious shortcomings,the<br />

Commission – with its strong powers to initiate new legislative<br />

proposals and to coordinate Member States’ policies –<br />

remains Europe’s best hope for addressing the tax dodging<br />

scandal and stopping the endless race to the bottom on tax.<br />

The citizens of Europe and abroad have yet to experience a<br />

Commission that fully realises this responsibility.

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