Among the ways in which multinational enterprises (MNEs) can shift profits from one jurisdiction to another in order to minimize taxes, one of the most simple and widely-employed involves the payment of interest to related parties and third parties. For these reasons, it is not surprising that the Organisation for Economic Cooperation and Development’s Action Plan on Base Erosion and Profit Shifting (BEPS) identified the deduction of interest and other financial payments as a significant source of BEPS concerns, and that BEPS Action 4 was charged with developing “recommendations regarding best practices in the design of rules to prevent base erosion through the use of interest expense … and other financial payments that are economically equ...
The article relates to some international developments with regard to the deductibility of interest ...
Given the dynamics of economic and financial globalization, national tax authorities often do not ha...
In a world without taxes, investors that take over companies would do so because they expect to be a...
This article examines the prospects of Canada’s Draft Country-by-Country Reporting Rules. The articl...
Debt and equity are in most countries treated differently for taxing purposes. The asymmetry between...
on income paid to investors from the other country. Such taxes act as a tariff on crossborder invest...
Recent developments – including greater taxpayer sophistication in structuring and locating internat...
To prevent negative effective tax rates in a territorial system, a multinational corporation’s deduc...
World events in the first decade of this century led many to question the state of the international...
The article looks at the international regulations on income taxation and profit generated by entiti...
BEPS Action 4 focuses on excessive deductible interest and other financial payments, thus recommendi...
This paper proposes and evaluates alternative methods for addressing the tax treatment of interest e...
textabstractThis paper analyses the national tax treatment of interest expenditures of multinational...
In recent years, the problem of base erosion and profit shifting (BEPS) by multinational corporation...
This thesis examines the income-shifting behaviour of multinational corporations when they are facin...
The article relates to some international developments with regard to the deductibility of interest ...
Given the dynamics of economic and financial globalization, national tax authorities often do not ha...
In a world without taxes, investors that take over companies would do so because they expect to be a...
This article examines the prospects of Canada’s Draft Country-by-Country Reporting Rules. The articl...
Debt and equity are in most countries treated differently for taxing purposes. The asymmetry between...
on income paid to investors from the other country. Such taxes act as a tariff on crossborder invest...
Recent developments – including greater taxpayer sophistication in structuring and locating internat...
To prevent negative effective tax rates in a territorial system, a multinational corporation’s deduc...
World events in the first decade of this century led many to question the state of the international...
The article looks at the international regulations on income taxation and profit generated by entiti...
BEPS Action 4 focuses on excessive deductible interest and other financial payments, thus recommendi...
This paper proposes and evaluates alternative methods for addressing the tax treatment of interest e...
textabstractThis paper analyses the national tax treatment of interest expenditures of multinational...
In recent years, the problem of base erosion and profit shifting (BEPS) by multinational corporation...
This thesis examines the income-shifting behaviour of multinational corporations when they are facin...
The article relates to some international developments with regard to the deductibility of interest ...
Given the dynamics of economic and financial globalization, national tax authorities often do not ha...
In a world without taxes, investors that take over companies would do so because they expect to be a...