This article demonstrates that tax avoidance via controlled foreign companies (CFCs) established in the most favourable tax environments among EU Member States such as Ireland, Luxembourg, the Netherlands, and Cyprus, remains a considerable problem. Not only does it affect taxpaying residents in the Member States but, indirectly, all taxpayers regardless of their EU affiliation, US multinational enterprises (MNEs), for example. Focusing on the use Polish taxpayers make of CFCs, this study undertakes a detailed legal analysis of the problem of tax avoidance under EU law by examining empirical data and EU law on tax avoidance. The choice of this topic is largely justified by the exponential rise in tax avoidance schemes through CFCs involving...
Several studies have reported that tax avoidance is used mostly by multinational companies where, by...
The paper discusses the availability tax grouping among EU countries as well as benefits and costs o...
European Union (EU) law has played a key role in enforcing the EU BEPS agenda, while also introducin...
This article deals with the problems of taxation of controlled foreign companies (hereinafter: CFC) ...
1 Theoretical aspects of tax avoidance in the field of income taxes Abstract in English The disserta...
This article demonstrates that after the seemingly incorrect implementation of Articles 7–8 of the A...
Tackling corporate profit shifting requires appropriate anti-avoidance measures. This article review...
This article analyses the recent rulings of the Court of Justice of the European Union in two Danish...
This article analyses the recent rulings from the European Court of Justice in two Danish cases and ...
Capital and labor mobility facilitates cross-border activities of enterprises. In the era of...
peer reviewedOn July 16, 2016 the Economic and Financial Council of the European Union adopted the A...
Multinational Companies are using treaties between states to enter into schemes for tax avoidance an...
Niniejsza praca ma na celu przedstawienie problemu omijania opodatkowania przez korporacje międzynar...
Most states within the EU have some kind of CFC-legislation that allows the state in question to tax...
Recently, the controlled foreign company (CFC) rules have gained increased attention; as such, rules...
Several studies have reported that tax avoidance is used mostly by multinational companies where, by...
The paper discusses the availability tax grouping among EU countries as well as benefits and costs o...
European Union (EU) law has played a key role in enforcing the EU BEPS agenda, while also introducin...
This article deals with the problems of taxation of controlled foreign companies (hereinafter: CFC) ...
1 Theoretical aspects of tax avoidance in the field of income taxes Abstract in English The disserta...
This article demonstrates that after the seemingly incorrect implementation of Articles 7–8 of the A...
Tackling corporate profit shifting requires appropriate anti-avoidance measures. This article review...
This article analyses the recent rulings of the Court of Justice of the European Union in two Danish...
This article analyses the recent rulings from the European Court of Justice in two Danish cases and ...
Capital and labor mobility facilitates cross-border activities of enterprises. In the era of...
peer reviewedOn July 16, 2016 the Economic and Financial Council of the European Union adopted the A...
Multinational Companies are using treaties between states to enter into schemes for tax avoidance an...
Niniejsza praca ma na celu przedstawienie problemu omijania opodatkowania przez korporacje międzynar...
Most states within the EU have some kind of CFC-legislation that allows the state in question to tax...
Recently, the controlled foreign company (CFC) rules have gained increased attention; as such, rules...
Several studies have reported that tax avoidance is used mostly by multinational companies where, by...
The paper discusses the availability tax grouping among EU countries as well as benefits and costs o...
European Union (EU) law has played a key role in enforcing the EU BEPS agenda, while also introducin...