Virtual worlds, real money: Tax issues in the metaverse

When it comes to the tax world, the starting point is that international tax law does not currently give any special status to a meta realm as a distinct jurisdiction. The metaverse is not a term of art recognised by tax law. However, what we are likely to see is a change in business models and beha...

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Main Authors: OOI, Vincent, LOY, Daryl
Format: text
Language:English
Published: Institutional Knowledge at Singapore Management University 2023
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Online Access:https://ink.library.smu.edu.sg/sol_research/4180
https://ink.library.smu.edu.sg/context/sol_research/article/6138/viewcontent/Virtual_Worlds__Real_Money_Tax_Issues_in_the_Metaverse.pdf
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spelling sg-smu-ink.sol_research-61382023-04-04T02:30:02Z Virtual worlds, real money: Tax issues in the metaverse OOI, Vincent LOY, Daryl When it comes to the tax world, the starting point is that international tax law does not currently give any special status to a meta realm as a distinct jurisdiction. The metaverse is not a term of art recognised by tax law. However, what we are likely to see is a change in business models and behavioural patterns, leading to different kinds of taxable events becoming either more or less prominent. Tax law may not inevitably change but the tax issues of the day will.In this article, we highlight three broad business models that are likely to feature prominently in the metaverse: 1) platform operators; 2) purely digital, omni-channel, and hybrid marketing businesses; and 3) individuals participating in the gig and platform economy. Each of these models raise their own direct and indirect tax issues, making it a good idea for tax authorities to start reviewing their existing systems to ensure that they are well-adapted for taxing the metaverse economy. In particular, issues such as digital permanent establishments, digital services taxes and indirect taxation for digital goods and services should be carefully studied.In BEPS Action Plan 1, the OECD stated that it is not possible to ringfence the digital economy from the rest of the economy for tax purposes as the digital economy is rapidly becoming the actual economy itself. Subsequent developments have shown that things may not have been quite as "impossible" as initially stated. Nevertheless, the question arises whether there may come a point of time in the future where the metaverse economy may "become the actual economy itself". 2023-01-01T08:00:00Z text application/pdf https://ink.library.smu.edu.sg/sol_research/4180 https://ink.library.smu.edu.sg/context/sol_research/article/6138/viewcontent/Virtual_Worlds__Real_Money_Tax_Issues_in_the_Metaverse.pdf http://creativecommons.org/licenses/by-nc-nd/4.0/ Research Collection Yong Pung How School Of Law eng Institutional Knowledge at Singapore Management University Taxation taxation law tax law metaverse Law and Economics Tax Law
institution Singapore Management University
building SMU Libraries
continent Asia
country Singapore
Singapore
content_provider SMU Libraries
collection InK@SMU
language English
topic Taxation
taxation law
tax law
metaverse
Law and Economics
Tax Law
spellingShingle Taxation
taxation law
tax law
metaverse
Law and Economics
Tax Law
OOI, Vincent
LOY, Daryl
Virtual worlds, real money: Tax issues in the metaverse
description When it comes to the tax world, the starting point is that international tax law does not currently give any special status to a meta realm as a distinct jurisdiction. The metaverse is not a term of art recognised by tax law. However, what we are likely to see is a change in business models and behavioural patterns, leading to different kinds of taxable events becoming either more or less prominent. Tax law may not inevitably change but the tax issues of the day will.In this article, we highlight three broad business models that are likely to feature prominently in the metaverse: 1) platform operators; 2) purely digital, omni-channel, and hybrid marketing businesses; and 3) individuals participating in the gig and platform economy. Each of these models raise their own direct and indirect tax issues, making it a good idea for tax authorities to start reviewing their existing systems to ensure that they are well-adapted for taxing the metaverse economy. In particular, issues such as digital permanent establishments, digital services taxes and indirect taxation for digital goods and services should be carefully studied.In BEPS Action Plan 1, the OECD stated that it is not possible to ringfence the digital economy from the rest of the economy for tax purposes as the digital economy is rapidly becoming the actual economy itself. Subsequent developments have shown that things may not have been quite as "impossible" as initially stated. Nevertheless, the question arises whether there may come a point of time in the future where the metaverse economy may "become the actual economy itself".
format text
author OOI, Vincent
LOY, Daryl
author_facet OOI, Vincent
LOY, Daryl
author_sort OOI, Vincent
title Virtual worlds, real money: Tax issues in the metaverse
title_short Virtual worlds, real money: Tax issues in the metaverse
title_full Virtual worlds, real money: Tax issues in the metaverse
title_fullStr Virtual worlds, real money: Tax issues in the metaverse
title_full_unstemmed Virtual worlds, real money: Tax issues in the metaverse
title_sort virtual worlds, real money: tax issues in the metaverse
publisher Institutional Knowledge at Singapore Management University
publishDate 2023
url https://ink.library.smu.edu.sg/sol_research/4180
https://ink.library.smu.edu.sg/context/sol_research/article/6138/viewcontent/Virtual_Worlds__Real_Money_Tax_Issues_in_the_Metaverse.pdf
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