© 2015, Asian Social Science. All rights reserved. The paper analyzes the tax issues of holding companies using the example of the EU countries. The article describes and studies a number of ways to optimize the taxation of international holding companies; discusses the challenges currently faced by the tax authorities of different countries in the implementation of tax control over the functioning of the integrated structures. The paper considers advantages and disadvantages of tax optimization of international holding companies, the cost of coming to and going out of the market of a country and doing business there. The author determines the basic functions and purposes of establishing a holding company structure, in the case of its use f...
The activity of international holding companies has become crucial for the European economy. In part...
The subject-matter of the article is a holding company used by entities with cross-border capital li...
This article deals with the problems of taxation of controlled foreign companies (hereinafter: CFC) ...
© 2015, Asian Social Science. All rights reserved. The paper analyzes the tax issues of holding comp...
This thesis is focusing on methods of tax optimization of international companies. These internation...
The thesis analyzes the income taxation of holding in Lithuania and internationally. With the free m...
This thesis is focused on corporate structure designs with the use of offshore and onshore centers i...
This diploma thesis deals with the issue of international tax planning and tax optimization. Based o...
Jurisdictions around the world currently compete to attract mobile capital of multinational companie...
International tax planning is a phenomenon of recent years. One of the ways suitable for a tax optim...
Currently, a holding company is one of the most popular form of organisation in the globalized Europ...
The result of the global integration of the world economy are globally operating corporations. Multi...
MCom (Accountancy), North-West University, Vaal Triangle Campus, 2017Due to the rapid growth of cros...
In international context, corporate taxes represent one of the major limiting factors of the intern...
Wraz z postępem procesów globalizacji optymalizacja podatkowa stała się integralnym elementem strate...
The activity of international holding companies has become crucial for the European economy. In part...
The subject-matter of the article is a holding company used by entities with cross-border capital li...
This article deals with the problems of taxation of controlled foreign companies (hereinafter: CFC) ...
© 2015, Asian Social Science. All rights reserved. The paper analyzes the tax issues of holding comp...
This thesis is focusing on methods of tax optimization of international companies. These internation...
The thesis analyzes the income taxation of holding in Lithuania and internationally. With the free m...
This thesis is focused on corporate structure designs with the use of offshore and onshore centers i...
This diploma thesis deals with the issue of international tax planning and tax optimization. Based o...
Jurisdictions around the world currently compete to attract mobile capital of multinational companie...
International tax planning is a phenomenon of recent years. One of the ways suitable for a tax optim...
Currently, a holding company is one of the most popular form of organisation in the globalized Europ...
The result of the global integration of the world economy are globally operating corporations. Multi...
MCom (Accountancy), North-West University, Vaal Triangle Campus, 2017Due to the rapid growth of cros...
In international context, corporate taxes represent one of the major limiting factors of the intern...
Wraz z postępem procesów globalizacji optymalizacja podatkowa stała się integralnym elementem strate...
The activity of international holding companies has become crucial for the European economy. In part...
The subject-matter of the article is a holding company used by entities with cross-border capital li...
This article deals with the problems of taxation of controlled foreign companies (hereinafter: CFC) ...