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Kenya has ratified the Organisation for Economic Co-operation and Development’s (OECD) Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting (BEPS), reinforcing its commitment to curbing international tax evasion.
The landmark agreement, set to take effect on 1 May 2025, addresses gaps in international tax rules exploited by multinational enterprises to shift profits to low-tax jurisdictions. Kenya’s decision to join the OECD convention is a milestone in its journey towards fiscal reform and international cooperation. As the agreement takes effect in May, policymakers, investors, and tax professionals will closely watch its implementation. The outcome will serve as a litmus test for Kenya’s ability to navigate the complexities of global tax governance while safeguarding its economic interests.
The OECD, a global policy forum headquartered in Paris, issued a statement on Wednesday lauding Kenya’s convention ratification. “Kenya’s adoption of the treaty highlights its strong commitment to preventing the abuse of tax treaties by profit-shifting multinational enterprises,” the statement read. With this move, Kenya joins a growing number of countries seeking to modernise their tax frameworks and enhance transparency in line with global standards.
The convention plays a pivotal role in updating bilateral tax agreements to align with the OECD’s BEPS Action Plan, a comprehensive strategy endorsed by G20 leaders to prevent base erosion and profit shifting. It introduces mechanisms to counter treaty abuse, reduce tax treaty loopholes, and ensure that taxation occurs where substantive economic activity takes place. Additionally, it enhances mechanisms for resolving tax disputes between jurisdictions, thereby creating a more predictable environment for global trade and investment.
Kenya’s ratification reflects the country’s broader policy reforms aimed at fostering fiscal integrity and combating illicit financial flows. As a leading economy in East Africa, Kenya hosts a diverse range of multinational corporations operating across sectors such as telecommunications, financial services, construction, and manufacturing. These corporations are pivotal to Kenya’s economic development but also pose challenges in terms of monitoring compliance with international tax standards.
The BEPS convention offers a comprehensive solution to these challenges, ensuring that multinational corporations contribute their fair share of taxes. By adhering to the agreement, Kenya aims to protect its tax base from erosion and ensure that domestic revenues are effectively mobilised to support public services and infrastructure development. It also signals Kenya’s willingness to collaborate with other nations to address tax avoidance strategies that deprive governments of critical revenue streams.
The OECD emphasised the significance of the convention in the broader context of global economic governance. “The convention serves as a key instrument for updating bilateral tax agreements and minimising opportunities for tax avoidance by multinational corporations. It also provides robust tools for resolving tax disputes in a transparent and equitable manner,” the organisation noted.
The implementation of the treaty will bring substantial changes to Kenya’s network of tax treaties, introducing anti-abuse provisions such as the principal purpose test (PPT), which denies treaty benefits if one of the principal purposes of an arrangement or transaction is to obtain a tax advantage. This provision is expected to deter artificial arrangements and ensure that treaty benefits are only granted in genuine business scenarios.
Kenya’s adoption of the treaty is also a strategic move to align with global investment trends. As investors increasingly seek jurisdictions that demonstrate fiscal transparency and adherence to international standards, ratifying the BEPS convention could enhance Kenya’s attractiveness as a destination for foreign direct investment. By promoting fair taxation, Kenya seeks to level the playing field for domestic and international businesses while ensuring a stable and competitive economic environment.
The BEPS convention builds on Kenya’s ongoing efforts to strengthen its tax administration. The Kenya Revenue Authority (KRA) has been at the forefront of implementing measures to curb tax evasion and improve compliance. These include the adoption of digital tax measures, enhanced data sharing, and collaboration with international organisations to track illicit financial flows. By incorporating the provisions of the OECD convention into its domestic framework, Kenya stands to benefit from technical assistance and capacity-building initiatives to bolster its tax system further.
Critics, however, caution that the success of the convention will hinge on effective enforcement and robust domestic legislation. While the OECD provides a multilateral framework, individual jurisdictions bear the responsibility of implementing the agreed measures within their legal and regulatory structures. For Kenya, this entails ensuring that the provisions of the convention are seamlessly integrated into its tax treaties and backed by stringent monitoring mechanisms.
With the global economic landscape evolving rapidly, the need for collaborative approaches to tackle tax avoidance has become increasingly urgent. The OECD estimates that profit-shifting practices cost governments worldwide between USD 100 billion and USD 240 billion annually, equivalent to 4%–10% of global corporate income tax revenues. By ratifying the convention, Kenya not only addresses domestic revenue challenges but also contributes to a broader international effort to build a fairer and more transparent global tax system.
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To date, 88 jurisdictions have ratified, accepted, or approved the convention, leading to the modification of over 1,600 bilateral tax treaties. According to the OECD, once all signatory nations have completed the ratification process, an additional 350 treaties will be revised under the framework. The treaty represents a coordinated effort to address key concerns such as tax avoidance, treaty shopping, and disputes over double taxation—a persistent challenge for cross-border businesses.