The Anti-Tax Avoidance Directive (ATAD I) was adopted in 2016 and implements three of the OECD BEPS standards in the EU. It introduces rules on interest deductibility, exit taxation, a general anti-abuse provision, controlled foreign companies and hybrid mismatches. In May 2017, the EU amended the Anti-Tax Avoidance Directive to extend its scope to hybrid mismatches involving third countries.
ATAD I and ATAD II are key for private equity, as the rules have an important bearing on interest deductibility. As a result of ATAD II rules in particular, some funds could become taxable contingent on how investors treat them from a tax perspective in their country. The impact of ATAD II provisions could be primarily relevant for fund structures which are funded with shareholder debt.
Action 6 of the OECD Base Erosion and Profit Shifting (BEPS) project released in summer 2013 identified tax treaty abuse, and in particular tax treaty shopping, as a major concern. In December 2017, the OECD released the updated OECD Model Tax Convention, which included three examples that provide guidance on how the Principal Purposes Test (PPT) will apply to alternative investment funds.
Although targeted at the aggressive tax policies of large multinational corporations, the OECD BEPS standards have the potential to change existing tax rules more generally. This could alter the tax environment for private equity funds as they raise capital and invest internationally. Specifically, changes to the rules on treaty abuse may pose risks to the continuing ability of private equity funds to access tax treaties that prevent double taxation when a fund invests cross-border.
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Position Paper on the Omnibus on taxation
Positions & consultation responses
30 Mar 2026
Tax obstacles for cross- border remote employees
Positions & consultation responses
20 Mar 2026
Call for evidence on the functioning of the ATAD- Invest Europe Perspective
Positions & consultation responses
18 Sep 2024
Invest Europe FASTER position paper
Positions & consultation responses
19 Sep 2023
Invest Europe Answer to EC Consultation on SAFE
Positions & consultation responses
12 Oct 2022
Look Ahead - EU regulatory & Tax priorities (September 2022)
Member guides
01 Sep 2022
Invest Europe response to DEBRA consultation
Positions & consultation responses
29 Jul 2022
Invest Europe Response to EC Consultation on new EU system on withholding tax
Positions & consultation responses
28 Jun 2022
Feedback to European Commission Proposal on implementation of OECD Pillar 2
Positions & consultation responses
06 Apr 2022
Feedback to European Commission Proposal to prevent the misuse of shell entities for tax purposes
Positions & consultation responses
06 Apr 2022
Joint industry letter on EC Initiative to fight the use of shell entities
Positions & consultation responses
29 Oct 2021
Feedback to EC Roadmap on Withholding taxes
Positions & consultation responses
26 Oct 2021
Response to European Commission Consultation on fighting the use of shell entities and arrangements for tax purposes
Positions & consultation responses
27 Aug 2021
Feedback to EC Roadmap on DEBRA
Positions & consultation responses
12 Jul 2021
Global PE industry response to the OECD consultation – Global Anti-Base Erosion Proposal (“GloBE”) (Pillar Two)
Positions & consultation responses
02 Dec 2019