Greater public transparency
The public country-by-country reporting discussed in the EU, which is a further development of the BEPS project to combat base erosion and profit shifting, is also intended to increase tax transparency. This process will require all international corporations operating in the EU with annual revenue of EUR 750 million or more to disclose information on profit before tax and the amount of tax paid in every tax jurisdiction in which they operate. A draft on the country-by-country disclosure of companies’ tax payments has been submitted to the EU Council of Ministers and is due to be introduced to Parliament soon.
Redistribution
In addition, there are global approaches, for example, at the OECD level with Pillar 1 and 2 of the BEPS project, in which the community of states is striving to impose taxation on the digital economy and introduce minimum taxation and could be on the verge of reaching an agreement until summer 2021. There is also the Common Reporting Standard (CRS), an international procedure for the exchange of financial account information, that will also play its part in ensuring that more and more data is available and that tax law will be fundamentally changed in the coming years.
In essence, however, the problem remains the same. These systems will only function as intended if, in addition to the government regulations, the necessary technology is available to ensure transparency and fairness. The technology must also enable companies to effect such notifications without system breaks and with as little effort as possible. The potential computing power of a quantum computer could play a central role here, particularly when it comes to conducting advance simulations of possible consequences for the distribution of the tax base.
Tax impact analyses are also on the agenda as public debt skyrockets in all countries in the wake of the pandemic, and sociopolitical challenges such as climate change and the demographic trend spill over into the tax world. The need for data and reliable impact analyses is enormous.
ADIMA4
Recently, the OECD itself has been trying to identify and analyze such data. This is precisely the goal of the ADIMA initiative. The acronym ADIMA stands for Analytical Database on Individual Multinationals and Affiliates. It has taken on the task of examining 500 multinational companies in order to understand where they and their value chains are located in the world, how they operate and where they pay taxes. To this end, the Paris-based organization brought together its data analysts, statisticians, computer scientists and programmers in a project group and, two years ago, installed a database. The reason given for this approach is that, up to now, only scant official statistics have been available on individual multinational companies, and their behavior is becoming increasingly important for some countries. The OECD plans to greatly expand the database and include information not usually found in company reports by evaluating open big data sources, such as news outlets, websites and Wikidata. In the first published reports, which initially looked only at the top 100 ADIMA companies, found through data analysis in open sources that 85 out of 100 companies had active operations, but official financial statements showed only 75 companies.
The examples provide an insight into government efforts to collect reliable data to secure their share of the tax base and be able to continue to fund public spending in the future. But if all this data were available today, would there be sufficient computing capacity to process it? Can today’s computers perform comprehensive impact analyses that illuminate every nook and cranny of entrepreneurial activity all over the world?
Vision for 2050
Let’s assume that quantum computers will be universally deployable in the future. Given the diverse environmental, social and economic challenges around the world, as well as competition for government revenue sources, supercomputers could also be used to find a global approach to all business-related taxes that create economic fairness. In theory, combining powerful quantum computing with complicated international tax rules would be possible, even if in practice the political compromise required would be a hurdle at least as high as applying the technology.
In my opinion, however, visions are not a crime and should be encouraged. By around 2050, for example, the equalization and steering functions of national taxation systems could be extended to create a single global system encompassing all business-related taxes. Currently, such a system is barely feasible from a technical perspective. Today’s computers are not fast enough to identify the tax effects in real time, worldwide and country-by-country on the basis of changes in laws, and to track the enforcement of the regulations. Several very powerful quantum computers, on the other hand, could analyze and evaluate large volumes of data much faster.
Here is a concrete example: municipalities finance their budgets largely from trade tax revenues, which fluctuate depending on the state of the economy. With the help of quantum computers, the expected revenues of the companies and therefore of the municipalities could be forecast using a multitude of variables and levied by means of a surcharge on the income taxes. This could help avoid year-long delays in necessary renovations of public facilities, for example. Calculation models could form the basis for allocating funds between the municipalities. In the current pandemic, no major retail chain will want to think about redistributing resources from rich to poor municipalities, but in the future they will regain their interest in breathing life into high streets and marketplaces.
Data on real estate and land is also urgently needed for the upcoming real estate tax reform in Germany. The escape clause allows federal states to initiate real estate tax reforms that deviate from federal law and some federal states are already publishing their first draft laws. However, all sides would stand to benefit if real estate data were available and the states did not have to employ different models to generate future value-driving attributes for their revenues to assess tax.
From a political perspective, a global tax governance system would be a monumental task. New national and international standards would have to be set, assessment bases defined and control bodies convened. However, the BEPS project shows that closer cooperation on sensitive tax issues that deeply encroach on national sovereignty is possible and that anonymized data could be made available to decision-makers in real time.
The use of new technologies would make a positive ecological, economic and social contribution to the world of tax. A few years ago, no one would have thought it possible for artificial intelligence to play a role in corporate decision-making. We therefore need to remain open to the possibilities of new technologies, even if their usefulness still seems a long way off.