A cultural levy or a digital streaming service tax: New film industry levies conflicting with the EU member states’s bilateral tax treaty obligations and OECD digital tax agreements?

Open Access
Authors
Publication date 09-2023
Journal Journal of Digital Media & Policy
Event The promotion of European works according to the AVMSD: where do we stand?
Volume | Issue number 14 | 3
Pages (from-to) 383-389
Number of pages 7
Organisations
  • Faculty of Law (FdR) - Amsterdam Center for Tax Law (ACTL)
Abstract
This note highlights the obstacles that the film levy, as a form of financial contributions on video on demand (VoD) service providers under Article 13(2) of
the 2018 EU Audiovisual Media Service Directive, may face in a cross-border
context from an international tax perspective. In particular, the first obstacle
is that the double tax treaties of member states exclude the possibility to levy
income taxes on a foreign VoD service provider if it has no fixed and permanent
presence, for example, an office, in the country. Second, the new global tax agreement on addressing the tax challenges of digitalization demands its parties (137 countries) to remove all unilateral domestic taxes on all digital services and all companies.
Document type Article
Note In special issue: US-Based SVoD Providers in Europe: Impacts and Challenges
Language English
Published at https://doi.org/10.1386/jdmp_00136_7
Downloads
jdmp.14.3.383_Buriak (Final published version)
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