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Treasury Secretary Janet Yellen speaks during a press briefing at the White House in Washington on May 7, 2021.Patrick Semansky/The Associated Press

U.S. Treasury Secretary Janet Yellen on Sunday said that a newly endorsed mechanism to allow more countries to tax large, highly profitable multinational companies may not be ready for consideration by lawmakers until spring, 2022.

Dr. Yellen told a news conference after a G20 finance leaders meeting in Venice that the OECD reallocation of taxing rights was on a “slightly slower track” than a global corporate tax of at least 15 per cent as part of a tax deal among 132 countries.

G20 finance ministers and central bank governors endorsed the deal over the weekend, but questions remain over the ability of U.S. President Joe Biden’s administration to persuade a deeply divided Congress to ratify the changes.

Dr. Yellen’s comments suggest a two-step process for implementing the OECD tax deal, with the global minimum tax moving first.

She said she hoped to include provisions to implement the so-called “Pillar 2” minimum tax into a budget “reconciliation” bill this year that Congress could approve with a simple majority, potentially without Republican support.

The “Pillar 1” portion of the agreement would end unilateral taxes on digital services in exchange for a new mechanism that would allow large profitable companies – including technology giants such as Google and Facebook – to be taxed in part by countries where they sell products and services, rather than just those hosting their headquarters or intellectual property.

This will require a multilateral tax agreement that will take time to negotiate, a U.S.Treasury official said.

“Pillar 1 will be on a slightly slower track. We’ll work with Congress,” Dr. Yellen said, when asked whether a two-thirds majority would be needed in the U.S. Senate, which is normally the requirement for international treaties.

“It may be in ready in the spring of 2022 and we’ll try to determine at that point what’s necessary for its implementation,” she said.

It was unclear how the 2022 timing would affect the withdrawal of unilateral digital services taxes. Dr. Yellen made clear that European Union countries had agreed to withdraw such taxes when asked how she viewed an expected European Commission proposal for a new digital levy to fund pandemic relief.

“It’s really up to the European Commission and the members of the European Union to decide how to proceed, but those countries have agreed to avoid putting in place in the future and to dismantle taxes that are discriminatory against U.S. firms.”

Dr. Yellen travels to Brussels later on Sunday to discuss the digital levy and a range of other issues with European Commission President Ursula von der Leyen and the Eurogroup headed by Irish Finance Minister Paschal Donohoe.

Ireland is among the countries yet to sign up to the international tax deal, along with Hungary, Estonia, Kenya and Nigeria.

The visit provides the opportunity to explain the benefits of inclusion in the agreement, Dr. Yellan said.

“In some cases there are specific technical issues that can be addressed and where possible we will discuss and try to bring them aboard,” she added.

Dr. Yellen also hopes to have facilities in place by October to allow US$100-billion of the International Monetary Fund’s US$650-billion currency reserves, know as Special Drawing Rights (SDRs), to be transferred or lent to poorer countries.

G20 officials discussed how to proceed, but lending SDRs could present problems for countries that must hold them as reserve assets without credit or liquidity risk. Dr. Yellen said these countries may need to make outright cash contributions to a new SDR fund to provide a capital buffer.

“How to design this fund, so that countries can continue to have their lending continue to count as reserve assets is something we’re very focused on, and I believe that’s a solvable problem,” Dr. Yellen said.

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This content appears as provided to The Globe by the originating wire service. It has not been edited by Globe staff.

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