Unitary taxation requires the adoption of a set of rules that enables a combined group tax profit base to be determined. Setting aside questions as to which entities should be included and how the resultant profit should be allocated to relevant jurisdictions, this article focusses on the question of what is an appropriate base, and whether accounting principles, in particular external financial reporting principles, are fit for this purpose. The authors contribute to the ongoing debate on this issue, now even more salient in relation to the digital economy and the "unified approach" proposed by the OECD, by considering more recent changes in both financial reporting and taxation. The article concludes that there is considerable preparatory...
Due to the implementation of international financial reporting standards in the European Union, memb...
A revised version of this paper appeared as The Relationship Between Accounting Principles and Taxat...
In order to ensure an adequate information base in the taxation, there has been in recent years incr...
For more than twenty years there have been discussions on the issue of multinational corporations sh...
This paper explores the relationship between accounting and taxation through the recent proposals fo...
Notwithstanding its political dimension, international tax avoidance is also the result of a regulat...
Any proposal to adopt Unitary Taxation (UT) of multinationals has to contend with whether such taxat...
The international tax system needs a paradigm shift. The rules devised over 80 years ago treat the ...
How to determine the amount of income of essentially integrated multi-jurisdictional business entiti...
Is the corporate income tax (CIT) still an efficient system for taxing companies today? The CIT was ...
This book undertakes a fundamental review of the existing international regime for taxing business p...
[[abstract]]This paper responds to e.g. UN’s 17 Sustainable Development Goals, COP 21’s Paris Agreem...
The OECD Unified Approach under Pillar One deviates from the existing international business tax rul...
Any proposal to adopt unitary taxation (UT) of multinationals has to contend with whether such taxat...
The taxation of the income derived from financial assets and transactions was always a daunting blac...
Due to the implementation of international financial reporting standards in the European Union, memb...
A revised version of this paper appeared as The Relationship Between Accounting Principles and Taxat...
In order to ensure an adequate information base in the taxation, there has been in recent years incr...
For more than twenty years there have been discussions on the issue of multinational corporations sh...
This paper explores the relationship between accounting and taxation through the recent proposals fo...
Notwithstanding its political dimension, international tax avoidance is also the result of a regulat...
Any proposal to adopt Unitary Taxation (UT) of multinationals has to contend with whether such taxat...
The international tax system needs a paradigm shift. The rules devised over 80 years ago treat the ...
How to determine the amount of income of essentially integrated multi-jurisdictional business entiti...
Is the corporate income tax (CIT) still an efficient system for taxing companies today? The CIT was ...
This book undertakes a fundamental review of the existing international regime for taxing business p...
[[abstract]]This paper responds to e.g. UN’s 17 Sustainable Development Goals, COP 21’s Paris Agreem...
The OECD Unified Approach under Pillar One deviates from the existing international business tax rul...
Any proposal to adopt unitary taxation (UT) of multinationals has to contend with whether such taxat...
The taxation of the income derived from financial assets and transactions was always a daunting blac...
Due to the implementation of international financial reporting standards in the European Union, memb...
A revised version of this paper appeared as The Relationship Between Accounting Principles and Taxat...
In order to ensure an adequate information base in the taxation, there has been in recent years incr...