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Speech in Commons Chamber - Tue 18 Apr 2017
Oral Answers to Questions

"T2. The House may be aware that Plymouth Argyle were also promoted yesterday.I am the chairman of the all-party group on south-west rail. Last November, the peninsula rail taskforce published a report on the future of rail in the south-west. One key recommendation was for a resilient railway line through …..."
Oliver Colvile - View Speech

View all Oliver Colvile (Con - Plymouth, Sutton and Devonport) contributions to the debate on: Oral Answers to Questions

Written Question
Taxation: Malawi
Thursday 27th October 2016

Asked by: Oliver Colvile (Conservative - Plymouth, Sutton and Devonport)

Question to the HM Treasury:

To ask Mr Chancellor of the Exchequer, what his Department's policy is on the inclusion of a broad definition of permanent establishment in the UK-Malawi tax treaty.

Answered by Jane Ellison

As is usual in any negotiation, the text of a tax treaty remains confidential between the two governments during the negotiations. It is not therefore possible to comment on the contents of a treaty before it is signed.

The majority of the UK’s double taxation treaties are based on the OECD Model Double Taxation Convention. However, some developing countries prefer to follow the United Nations Model, whose provisions differ in some respects from the OECD Model, including in the “permanent establishment” article. Many of the UK’s treaties with developing countries contain at least some of these provisions. A treaty will be signed only when both governments are satisfied with its contents.

It has long been the UK’s policy to include robust anti-abuse provisions in its tax treaties to ensure that they operate as intended and in particular that residents of third countries cannot indirectly benefit from their provisions.

The text of the new treaty with Malawi was substantively agreed some time ago. However, in August 2016 Malawi raised some further points for consideration, which we will work together on. When that process is complete, and both countries are satisfied with contents of the new treaty, it will be signed and published. Parliament will scrutinise the revised agreement, as part of the affirmative Statutory Instruments procedures, before the treaty can enter into force.


Written Question
Taxation: Malawi
Thursday 27th October 2016

Asked by: Oliver Colvile (Conservative - Plymouth, Sutton and Devonport)

Question to the HM Treasury:

To ask Mr Chancellor of the Exchequer, what his Department's policy is on the inclusion of anti-abuse clauses in the UK-Malawi tax treaty to prevent tax avoidance through treaty shopping.

Answered by Jane Ellison

As is usual in any negotiation, the text of a tax treaty remains confidential between the two governments during the negotiations. It is not therefore possible to comment on the contents of a treaty before it is signed.

The majority of the UK’s double taxation treaties are based on the OECD Model Double Taxation Convention. However, some developing countries prefer to follow the United Nations Model, whose provisions differ in some respects from the OECD Model, including in the “permanent establishment” article. Many of the UK’s treaties with developing countries contain at least some of these provisions. A treaty will be signed only when both governments are satisfied with its contents.

It has long been the UK’s policy to include robust anti-abuse provisions in its tax treaties to ensure that they operate as intended and in particular that residents of third countries cannot indirectly benefit from their provisions.

The text of the new treaty with Malawi was substantively agreed some time ago. However, in August 2016 Malawi raised some further points for consideration, which we will work together on. When that process is complete, and both countries are satisfied with contents of the new treaty, it will be signed and published. Parliament will scrutinise the revised agreement, as part of the affirmative Statutory Instruments procedures, before the treaty can enter into force.


Written Question
Taxation: Malawi
Thursday 27th October 2016

Asked by: Oliver Colvile (Conservative - Plymouth, Sutton and Devonport)

Question to the HM Treasury:

To ask Mr Chancellor of the Exchequer, what progress has been made in renegotiating the UK-Malawi tax treaty since January 2016.

Answered by Jane Ellison

As is usual in any negotiation, the text of a tax treaty remains confidential between the two governments during the negotiations. It is not therefore possible to comment on the contents of a treaty before it is signed.

The majority of the UK’s double taxation treaties are based on the OECD Model Double Taxation Convention. However, some developing countries prefer to follow the United Nations Model, whose provisions differ in some respects from the OECD Model, including in the “permanent establishment” article. Many of the UK’s treaties with developing countries contain at least some of these provisions. A treaty will be signed only when both governments are satisfied with its contents.

It has long been the UK’s policy to include robust anti-abuse provisions in its tax treaties to ensure that they operate as intended and in particular that residents of third countries cannot indirectly benefit from their provisions.

The text of the new treaty with Malawi was substantively agreed some time ago. However, in August 2016 Malawi raised some further points for consideration, which we will work together on. When that process is complete, and both countries are satisfied with contents of the new treaty, it will be signed and published. Parliament will scrutinise the revised agreement, as part of the affirmative Statutory Instruments procedures, before the treaty can enter into force.


Written Question
Taxation: Malawi
Thursday 27th October 2016

Asked by: Oliver Colvile (Conservative - Plymouth, Sutton and Devonport)

Question to the HM Treasury:

To ask Mr Chancellor of the Exchequer, what plans his Department has for the revised UK-Malawi tax treaty to be signed.

Answered by Jane Ellison

As is usual in any negotiation, the text of a tax treaty remains confidential between the two governments during the negotiations. It is not therefore possible to comment on the contents of a treaty before it is signed.

The majority of the UK’s double taxation treaties are based on the OECD Model Double Taxation Convention. However, some developing countries prefer to follow the United Nations Model, whose provisions differ in some respects from the OECD Model, including in the “permanent establishment” article. Many of the UK’s treaties with developing countries contain at least some of these provisions. A treaty will be signed only when both governments are satisfied with its contents.

It has long been the UK’s policy to include robust anti-abuse provisions in its tax treaties to ensure that they operate as intended and in particular that residents of third countries cannot indirectly benefit from their provisions.

The text of the new treaty with Malawi was substantively agreed some time ago. However, in August 2016 Malawi raised some further points for consideration, which we will work together on. When that process is complete, and both countries are satisfied with contents of the new treaty, it will be signed and published. Parliament will scrutinise the revised agreement, as part of the affirmative Statutory Instruments procedures, before the treaty can enter into force.


Written Question
Taxation: Malawi
Thursday 27th October 2016

Asked by: Oliver Colvile (Conservative - Plymouth, Sutton and Devonport)

Question to the HM Treasury:

To ask Mr Chancellor of the Exchequer, what the Government's priorities are for the renegotiation of the UK-Malawi tax treaty.

Answered by Jane Ellison

As is usual in any negotiation, the text of a tax treaty remains confidential between the two governments during the negotiations. It is not therefore possible to comment on the contents of a treaty before it is signed.

The majority of the UK’s double taxation treaties are based on the OECD Model Double Taxation Convention. However, some developing countries prefer to follow the United Nations Model, whose provisions differ in some respects from the OECD Model, including in the “permanent establishment” article. Many of the UK’s treaties with developing countries contain at least some of these provisions. A treaty will be signed only when both governments are satisfied with its contents.

It has long been the UK’s policy to include robust anti-abuse provisions in its tax treaties to ensure that they operate as intended and in particular that residents of third countries cannot indirectly benefit from their provisions.

The text of the new treaty with Malawi was substantively agreed some time ago. However, in August 2016 Malawi raised some further points for consideration, which we will work together on. When that process is complete, and both countries are satisfied with contents of the new treaty, it will be signed and published. Parliament will scrutinise the revised agreement, as part of the affirmative Statutory Instruments procedures, before the treaty can enter into force.


Speech in Commons Chamber - Wed 25 May 2016
Battle of Jutland Centenary

"Is my hon. Friend aware that my grandfather served on HMS Valiant as a gunnery officer during the battle of Jutland? I shall be reading out his letters during a presentation in Devonport in Plymouth on Monday. The adrenalin that went through his body at the time meant that he …..."
Oliver Colvile - View Speech

View all Oliver Colvile (Con - Plymouth, Sutton and Devonport) contributions to the debate on: Battle of Jutland Centenary

Speech in Commons Chamber - Wed 09 Mar 2016
Pilgrim Fathers (400th Anniversary)

"As the hon. Gentleman knows, the Mayflower left, ultimately, from Plymouth in order to go and found the American colonies. We are in the process of setting up an all-party parliamentary group and I very much hope that he will join me as its co-chair, and we can try to …..."
Oliver Colvile - View Speech

View all Oliver Colvile (Con - Plymouth, Sutton and Devonport) contributions to the debate on: Pilgrim Fathers (400th Anniversary)

Speech in Commons Chamber - Wed 09 Mar 2016
Pilgrim Fathers (400th Anniversary)

"Does my right hon. Friend recognise that we should use the occasion for a fantastic trade exhibition to make sure that we have lots of American companies coming over here to visit Plymouth as well and to boost our growth?..."
Oliver Colvile - View Speech

View all Oliver Colvile (Con - Plymouth, Sutton and Devonport) contributions to the debate on: Pilgrim Fathers (400th Anniversary)

Speech in Commons Chamber - Wed 09 Mar 2016
Pilgrim Fathers (400th Anniversary)

"Will my right hon. Friend also recognise that it is really important that we have good transport links down to the south-west so that people can not only fly into the place, but take a train or a decent road down to Plymouth so that we can maximise the benefit …..."
Oliver Colvile - View Speech

View all Oliver Colvile (Con - Plymouth, Sutton and Devonport) contributions to the debate on: Pilgrim Fathers (400th Anniversary)