This paper proposes and evaluates alternative methods for addressing the tax treatment of interest expenses in a multijurisdictional setting. The differential deductibility of debt entailed by various current tax law provisions leads to potential distortions in the patterns of asset ownership across MNCs and various proposed solutions have significant limitations. We suggest alternative regimes – a worldwide debt cap (WDC) and a net financing deduction (NFD) – to address the ownership distortions that we highlight along with other well-established problems of income-shifting through debt. These alternative regimes are extensions to a multinational setting of two general approaches to the neutral treatment of interest expenses – the CBIT (co...
This paper analyzes how shareholder wealth, firm characteristics, and public finance would be impact...
This paper investigates the consequences of a series of alternative international tax designs on the...
This paper presents a model that relates a multinational firm's optimal debt policy to taxation and ...
Recent developments – including greater taxpayer sophistication in structuring and locating internat...
textabstractThis paper analyses the national tax treatment of interest expenditures of multinational...
Among the ways in which multinational enterprises (MNEs) can shift profits from one jurisdiction to ...
Corporate income tax systems usually discriminate between the different sources of finance: They fav...
The OECD in its BEPS action plan 4 addresses tax base erosion by profit shifting through the use of ...
To prevent negative effective tax rates in a territorial system, a multinational corporation’s deduc...
Leverage is an essential but often troubling component of the U.S. market. The financial crisis high...
Purpose: The Notional Interest Deduction (NID) was introduced to achieve equal treatment of debt and...
Corporate tax systems generally maintain a sharp distinction between debt and equity. However, the a...
The difficulty of envisioning an effective provision that would deny interest deductions in this con...
Traditionally, corporate income tax has evolved on the basis of a different tax treatment of debt an...
This paper evaluates quantitatively the implications of the preferential tax treatment of debt in th...
This paper analyzes how shareholder wealth, firm characteristics, and public finance would be impact...
This paper investigates the consequences of a series of alternative international tax designs on the...
This paper presents a model that relates a multinational firm's optimal debt policy to taxation and ...
Recent developments – including greater taxpayer sophistication in structuring and locating internat...
textabstractThis paper analyses the national tax treatment of interest expenditures of multinational...
Among the ways in which multinational enterprises (MNEs) can shift profits from one jurisdiction to ...
Corporate income tax systems usually discriminate between the different sources of finance: They fav...
The OECD in its BEPS action plan 4 addresses tax base erosion by profit shifting through the use of ...
To prevent negative effective tax rates in a territorial system, a multinational corporation’s deduc...
Leverage is an essential but often troubling component of the U.S. market. The financial crisis high...
Purpose: The Notional Interest Deduction (NID) was introduced to achieve equal treatment of debt and...
Corporate tax systems generally maintain a sharp distinction between debt and equity. However, the a...
The difficulty of envisioning an effective provision that would deny interest deductions in this con...
Traditionally, corporate income tax has evolved on the basis of a different tax treatment of debt an...
This paper evaluates quantitatively the implications of the preferential tax treatment of debt in th...
This paper analyzes how shareholder wealth, firm characteristics, and public finance would be impact...
This paper investigates the consequences of a series of alternative international tax designs on the...
This paper presents a model that relates a multinational firm's optimal debt policy to taxation and ...