TABLE OF CONTENTS
TABLE OF
CONTENTS .....................................................................................................
2
CHAPTER
OUTLINE
...........................................................................................................
3
ABSTRACT
...........................................................................................................................
5
CHAPTER ONE..................................................................................................................... 6
CHAPTER TWO................................................................................................................... 10
CHAPTER THREE............................................................................................................... 21
CHAPTER FOUR................................................................................................................. 33
CHAPTER FIVE................................................................................................................... 43
BIBLIOGRAPHY................................................................................................................ 49
INTERNET
MATERIALS....................................................................................... 49
OECD PUBLICATIONS......................................................................................... 51
JOURNAL / BOOKS................................................................................................ 52
PROPOSALS AND
WORKING PAPER............................................................... 54
TABLE OF CASES.............................................................................................................. 55
NIGERIAN CASES................................................................................................. 55
FOREIGN CASES.................................................................................................... 55
TABLE OF STATUTES....................................................................................................... 56
NIGERIAN
LEGISLATIONS................................................................................. 56
FOREIGN LAW....................................................................................................... 56
INTERNATIONAL
INSTRUMENTS..................................................................... 56
REGULATIONS....................................................................................................... 56
CHAPTER
OUTLINE
CHAPTER ONE
1.0 INTRODUCTION.
1.1 Background to the Study
1.2 Statement of the Problem
1.3 Aims and Objectives of the Research
1.4 Significance of the Research
1.4 Scope of the Research
1.5 Research Methodology
CHAPTER TWO
2.0 OVERVIEW
OF THE DIGITAL ECONOMY
2.1 Introduction
to the digital economy
2.1.1 Meaning of digital economy
2.1.2 Distinct Nature of the digital economy
2.1.3 Tax-Disruptive Digital Business Models
2.2 Prospect
of the taxation of the digital economy
2.3 Tax
Challenges in the digital economy
2.3.1 Allocation of Taxing right
2.3.2 cross-border income and transactions
2.3.3 Base Erosion and Profit shifting
2.3.4 Double Taxation
2.3.5 Tax administration
CHAPTER THREE
3.0 GLOBAL
APPROACH TOWARDS THE TAXATION OF THE DIGITAL ECONOMY
3.1 Introduction.
3.2 The Organization for Economic Co-operation
and Development
3.3 Significant economic presence
3.4 Digital service tax (DST)
3.5 Profit shifting tax (PST) or diverted poll
tax
3.6 Social media and mobile application taxes
CHAPTER FOUR
4.0 TAXATION
OF THE DIGITAL ECONOMY IN NIGERIA
4.1 Traditional basis for taxation of entities
within the digital economy
4.2 Taxation of the Nigerian Digital Economy
under the Finance Act 2019 and Finance Act 2020
4.3 Enforcement
Mechanism for the Taxation of the Digital Economy
4.4 The
Challenges of Nigerian's Approach towards the Taxation of the Digital Economy
CHAPTER FIVE
5.0 SUMMARY
AND CONCLUSION.
5.1. Summary
5.2. Recommendations.
5.3. Conclusion.
CHAPTER ONE
INTRODUCTION
1.1 BACKGROUND OF STUDY
In today's world, “Uber,
the world's largest taxi company, owns no cars, Facebook, a wellknown media
company, produces no content, the world's most valuable retailer Alibaba has no
inventory, and the world's largest accommodation provider Airbnb has no real
estate”.[1]
This is a testament to the fact that the desire to evolve and innovate is the
most obvious characteristic of human life. To this effect, traditional methods
for carrying out all human activities are increasingly being discarded as the
world settles on new tech-based innovations in view of making the most
challenging tasks easier to carry out.
Without a doubt,
we are living in the digital era, and the rapid spread and growth of
Information and Communication Technologies (ICT), as well as constant access to
it, has had a significant impact on our economic practices, causing businesses
to follow new business models, rely more on tech-based solutions, and
E-commerce to take on entirely new forms. This evolution of a Digital Economy
is characterized by a high level of innovation and disruption of the status
quo.[2]
With this state of affairs comes the challenge of taxing the digital economy's
key players and individuals. This problem is amplified through different
sectors of the economy that were once characterized by brick-and-mortar
companies (from transportation to housing, to media, and so on). The challenges
in taxing the digital economy are caused primarily by the fact that the
existing tax laws were designed for conventional structures and did not
anticipate the difficulties that would arise from taxing the digital economy.
The problem is exacerbated by these companies' desire to pay little or no
corporate tax. As a result, tax authorities at both the national and
regional/global levels are working diligently to ensure that current tax
systems address the challenges and demands raised by the digital economy.
1.2 STATEMENT OF THE PROBLEM
Economic
activities are crucial to any nation because revenue is derived from the smooth
and well-regulated operation of these activities. Businesses have previously
strived by first establishing a physical presence, in most cases through
registration,3 and then continuing operations, requiring certainty in the
location of their operational markets. As a result, the government found it
easier to levy taxes on such businesses, and the businesses had more certainty
about whom to pay taxes to.
The effectiveness
of this system, on the other hand, has been put to the test by the trend of
business digitalization, which depicts businesses going off the grid or having
no physical presence in operational areas, while still generating revenue.
Companies in the digital economy can avoid paying taxes by exploiting many of
the traditional tax system's loopholes to ensure that they pay little or no tax
at all. They can do so by taking advantage of weak transfer pricing regimes,
hybrid mismatch arrangements, double tax treaty benefits, and exploiting the
lack of a permanent establishment in jurisdictions where they operate, etc.
The major
challenge for revenue authorities to tax the digital economy is, however, the
lack of a permanent establishment; this involves companies carrying out their
business activities without a physical presence or an office in the
jurisdiction of operation. This strategy is enhanced by the adoption of
business models that prevents them from having real assets in the jurisdictions
in which they operate or where they can be subject to any form of taxation. So,
when there are no offices within the jurisdiction, it will be difficult to tax
these companies. Thus, it is a challenge
for tax authorities all over the world and they have to devise a perfect
mechanism for first identifying the complexities of these businesses and then
proposing and enforcing a long-term taxation solution.
1.3 AIM AND OBJECTIVES OF THE
RESEARCH
This research aims
to critically evaluate the taxation of the Nigerian digital economy in view of
the 2019 and 2020 Finance Acts. To effectively achieve this aim, the following
research questions are to be examined.
The first question
to be answered is this: what is the meaning and nature of the digital economy?
This question must be answered as the researcher has to show, to the reader,
the basic concept behind the digital economy and how it operates. To
effectively answer this question, a proper definition of the digital economy
will be given, and its nature will also be extensively discussed.
The second
question is: why is it important to tax the digital economy? This question is
very important, as it is one of the fulcrums upon which the project rests. This
question must be answered as it lays a good foundation for the research work.
In an attempt to answer this question, this research shall make a case for the
taxation of the digital economy by providing an insight into the prospect of
the taxation of the Digital Economy, especially since the digital economy, just
like a lot of technology-based innovations, poses the threat of disrupting the
existing legal framework of any country as it creates loopholes in which the
lawmakers never anticipated.
The third question
to be answered is: what effort has been deployed all over the world for the
taxation of the digital economy? This question will be answered by discussing
the various models and innovations for the taxation of the digital
economy.
The fourth and
final question is: is Nigeria taxing the digital economy? This is another very
important question to be answered. To answer this, an examination of the
Finance Acts of 2019 and 2020 will be carried to ascertain the legal framework
for the taxation of the Nigerian digital economy.
1.4 SIGNIFICANCE OF THE RESEARCH
This research work
is significant because of the current state of Nigeria’s economy and the
untapped tax potentials of the digital economy. The Nigeria economy has
suffered in recent times, largely as a result of our monolithic economy with a
strong dependence on the oil and gas sector, which until recently accounted for
more than 70% of our revenue; the dwindling of oil prices has been fatal to the
Nigerian economy.[3]
As a result of this, the focus is now being placed on taxation as a viable
means of generating revenue for the country.
To achieve the
needed revenue boost, the tax system must be seamless. However, the traditional
Tax system is currently threatened by the emergence of the digital economy. A
major reason for this is outdated laws, which make it possible for individuals
and companies to escape paying taxes on certain earnings or transactions that
the laws do not provide for.
The research is
significant because it seeks to evaluate Nigerian efforts toward taxation of
the digital economy in light of global efforts toward taxation of the digital
economy. This research shall also make recommendations to ensure the seamless taxation
of the digital economy. Thus, this
research will be useful to legislators and the Law Commission in promoting
positive legislative change. This study will also benefit entities operating in
or planning to operate in the Nigerian digital economy.
1.5 SCOPE
OF THE RESEARCH
This work mainly
focuses on the definition, nature, operation, and complexities of the digital
economy, as well as the global effort to effectively tax the digital economy,
particularly the taxation of the income of companies. The research focuses on
the efforts made in Nigeria to tax the digital economy in light of the
provisions of the Finance Acts of 2019 and 2020.
1.6 RESEARCH
METHODOLOGY
This research will
be involving a strong doctrinal analysis. The majority of the research will be
conducted through a review of relevant literature on the subject. This would
include primary materials, (case laws, and regulations by relevant tax
administrators) and a number of secondary materials. It should be noted that
this research is not comparative in nature but rather an evaluation of
Nigeria's position in relation to global and international perspectives and
efforts aimed at the taxation of the digital economy. In addition, this
research will look at Nigeria's efforts to tax the digital economy by reviewing
the relevant provisions of the Finance Acts of 2019 and 2020.
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