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The British Virgin Islands have double tax treaties with the UK, Japan and Switzerland; in the last two cases, this means just that the UK's treaty with the countries concerned has been extended to the BVI. The benefit of these Double Tax Treaties applies only to BVI resident companies, which must necessarily be Companies Act (Cap. 285) Companies. Since the overwhelming majority of BVI companies take the form of the International Business Company, the International Limited Partnership or the Trust, all of which are exempt from taxes and fall outside the ambit of the Double Tax Treaties, offshore investors will not often be in a position to use the BVI Double Tax Treaties.

British Virgin Islands Other International Agreements

The British Virgin Islands has a Mutual Legal Assistance Treaty with the USA. Following pressure in early 2000 from the OECD and the Financial Stability Forum of the G7, the BVI announced in June that it would include within the parameters of the treaty access to information relating to criminal tax investigations and that it would eliminate the requirement for dual criminality. This would be accompanied by the introduction of Compulsory Powers Legislation to provide for access to information within the BVI.

In April, 2002, the British Virgin Islands Government announced that an agreement had been reached with the OECD without compromising the BVI principle of 'even keel' across all nations.

Robert Mathavious, Managing Director of the BVI Financial Services Commission, commented; "We are pleased that an agreement with the OECD can be reached without compromising our established views. We are confident that working with the OECD will enable us to retain our position as a leading financial centre. We are pleased to be accepted, and invited to participate, as a full and equal partner in the OECD forum of activities."

At the same time, the BVI announced the signing of a new Tax Information Exchange Agreement with the United States of America.

Speaking after the signing of the agreement, BVI Governor, Frank Savage, observed that allowing the US Internal Revenue Service to pierce banking secrecy in cases of tax evasion and money laundering, clearly demonstrated that the country had been working 'to increase the transparency of our systems and reduce the potential for abuse'.

US Treasury Secretary, Paul O'Neill said that the Bush administration welcomed the agreement with the BVI, explaining that: 'We have an obligation to enforce our tax laws because failing to do so undermines the confidence of honest taxpayers of our system. One of the keys to enforcement of our tax laws is access to needed information.'

In 2003 the BVI set up a Financial Investigation Agency. This agency will function as a specialist investigative law enforcement arm of government. Its primary focus will be to investigate the BVI financial services industry and support the BVI mutual legal assistant regimes.

The Agency was officially launched in 2004. Highlighting the agency’s launch as an example of the territory’s dedication to upholding international initiatives to combat financial crime, Chief Minister Orlando Smith commented: “This commitment is the foundation of our entire financial industry and, I can assure you, it will always be a top priority for this Government”.

The FIA will take over the role formerly carried out by the Royal Virgin Islands Police Force.

In January, 2006, a prospective Tax Information Exchange Agreement (TIEA) between Australia and the British Virgin Islands was reportedly derailed at the last minute because the Caribbean jurisdiction is holding out for special concessions from Canberra as an inducement to sign the agreement.

Australian officials believe the BVI government is holding out for special consideration for its banking and shipping services, or to gain Australian technical assistance. Nonetheless, one Australian official was quoted as saying that Canberra was "not going to buy an agreement".