The OECD is looking at closing tax loopholes which allow some companies to legally pay little or no tax.
The proposed changes to the international tax regime must continue to allow a company to be incorporated in Ireland but not pay tax here if its tax home is covered by a tax treaty, the chartered accountants have argued.
Failing to do so could damage foreign direct investment, the Consultative Committee of Accountancy Bodies Ireland (CCABI) said.
CCABI said “certain academics” and others had been making inaccurate and damaging claims about the way in which Ireland conducts its tax affairs.
It made the claim in its submission to the Department of Finance’s consultation in relation to the so-called Base Erosion and Profit Shifting project (BEPS) from the OECD.
The representative group argued tax treaty arrangements that are currently in place must be maintained. And it claimed Ireland’s corporation tax system is more transparent than elsewhere.
Under current laws an Irish incorporated company may be treated as not being resident here for tax purposes if a tax treaty is in place with its tax home.
“At an absolute minimum it will be important to retain the concept of Irish incorporated companies not being tax resident in Ireland, at least as regards those companies managed and controlled within our treaty partner countries,” the CCABI argued.
“Any changes which reduce some of our tax advantages without presenting clear alternatives will damage foreign direct investment, our current corporation tax take, and employment prospects.”
BEPS kicked off in 2012 in discussions among European and US leaders about multinationals not paying their fair share of taxes and governments’ corporate tax bases being undermined.
The OECD effort calls for revising tax treaties, tightening rules and more government tax information sharing, with the project scheduled to finish by the end of next year,
In May the department of Finance launched a public consultation on how Ireland’s tax system might respond to proposed international changes.
The OECD is already conducting a public discussion around its BEPS project, which could see tax avoidance loopholes shut down.
The Department’s consultation, which ended this week, included six questions, including concerns about whether current international tax proposals would be of concern to Ireland, and whether Ireland’s residence rules are appropriate in the context of the BEPS project.
The consultation makes it clear that Ireland’s 12.5pc corporation tax rate will not change. The department said it received more than 20 “high quality” submissions.
“Officials will reflect on the feedback received and the results of the consultation will feed into the regular deliberations as part of Budget 2015,” a department spokesman said.
CCABI argued the Government shouldn’t move too soon on any BEPS proposals, and not before 2015.
Ireland has come under pressure in Europe and the US amid claims about its tax arrangements with multinationals.
The BEPS Action Plan provides for 15 actions scheduled to be finalised in three phases: September this year, September 2015 and December 2015. In September, the OECD will publish an in-depth report identifying tax challenges raised by the digital economy and the actions needed to address them.