Thin capitalization rules fit in the group of the specific anti-avoidance rules (SAAR) which are legalised by domestic tax laws. Anti-avoidance measures attempt to strike down unacceptable tax avoidance practices that have taken place with the increasing importance of multinational firms. In contrast to local firms, multinational corporations can shift profits to lower taxed foreign locations, leading to substantial losses in tax revenue. The article presents a systematic review of thin capitalization rules in EU 27, summing up four most common approaches of thin capitalization regulation. The analysis revealed that the majority of countries (15) legalised the fixed ratio approach, one quater (7) the subjective approach and only a few (3) l...
This paper analyzes the role of Thin-Capitalization rules for capital structure choice and investmen...
Thin-capitalisation rules are rules applied by a number of countries in order to protect their natio...
In October 2015, the OECD made a best practice recommendation in Action 4 of its BEPS project, sugge...
Thin capitalization rules fit in the group of the specific anti-avoidance rules (SAAR) which are leg...
Governments across Europe have recently introduced tax reforms to counter the growing problem of mu...
Due to international tax competition between countries in an attempt to attract foreign direct inves...
Thin capitalization rules have become an important element in the corporate tax systems of developed...
Research aims: This study aims to investigate the impact of the thin capitalization rule on tax avoi...
Thin capitalization rules have become an important element in the corporate tax systems of developed...
In October 2015, the OECD made a best practice recommendation in Action 4 of its BEPS project, sugge...
This paper investigates tax-planning behaviour by means of inter-company finance and the effectivene...
Thin capitalisation rules are widely perceived as an anti-avoidance mechanism that limit tax base er...
This paper analyzes the role of Thin-Capitalization rules for capital structure choice and investmen...
An examination of how multinational corporations use thin capitalization in order to avoid taxation ...
This work is licensed under the Creative Commons Attribution-NonCommercial-NoDerivs 3.0 Licence.This...
This paper analyzes the role of Thin-Capitalization rules for capital structure choice and investmen...
Thin-capitalisation rules are rules applied by a number of countries in order to protect their natio...
In October 2015, the OECD made a best practice recommendation in Action 4 of its BEPS project, sugge...
Thin capitalization rules fit in the group of the specific anti-avoidance rules (SAAR) which are leg...
Governments across Europe have recently introduced tax reforms to counter the growing problem of mu...
Due to international tax competition between countries in an attempt to attract foreign direct inves...
Thin capitalization rules have become an important element in the corporate tax systems of developed...
Research aims: This study aims to investigate the impact of the thin capitalization rule on tax avoi...
Thin capitalization rules have become an important element in the corporate tax systems of developed...
In October 2015, the OECD made a best practice recommendation in Action 4 of its BEPS project, sugge...
This paper investigates tax-planning behaviour by means of inter-company finance and the effectivene...
Thin capitalisation rules are widely perceived as an anti-avoidance mechanism that limit tax base er...
This paper analyzes the role of Thin-Capitalization rules for capital structure choice and investmen...
An examination of how multinational corporations use thin capitalization in order to avoid taxation ...
This work is licensed under the Creative Commons Attribution-NonCommercial-NoDerivs 3.0 Licence.This...
This paper analyzes the role of Thin-Capitalization rules for capital structure choice and investmen...
Thin-capitalisation rules are rules applied by a number of countries in order to protect their natio...
In October 2015, the OECD made a best practice recommendation in Action 4 of its BEPS project, sugge...