This paper investigates tax-planning behaviour by means of inter-company finance and the effectiveness of government countermeasures via thin-capitalization rules. A simple theoretical model which considers the financing decision of a multinational company is used to obtain empirical implications. The empirical analysis, based on German inbound investment data from 1996 to 2004, confirms a significant impact of tax-rate differentials on the use of inter-company debt. The effectiveness of the German thin-capitalization rule is tested by using legal amendments as natural experiments. The results suggest that thin-capitalization rules induce significantly lower internal borrowing. Hence, tax planning via internal finance is effectively limited...
In October 2015, the OECD made a best practice recommendation in Action 4 of its BEPS project, sugge...
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...
This paper investigates tax planning behavior by means of inter-company finance and the effectivenes...
This paper analyzes the effectiveness of thin-capitalization rules in preventing debt finance by int...
This paper analyzes the role of Thin-Capitalization rules for capital structure choice and investmen...
This paper analyzes the role of Thin-Capitalization rules for capital structure choice and investmen...
This work is licensed under the Creative Commons Attribution-NonCommercial-NoDerivs 3.0 Licence.This...
This thesis studies the effects of thin-capitalization rules on the level and the tax rate sensitivi...
Abstract: This paper analyzes the role of Thin-Capitalization rules for capital structure choice and...
Due to international tax competition between countries in an attempt to attract foreign direct inves...
Thin capitalization rules fit in the group of the specific anti-avoidance rules (SAAR) which are leg...
Escape clauses, where small firms are exempt from particular tax rules, is a crucial feature of a n...
IFIR Working Papers are made available for purposes of academic discussion. The views expressed are ...
In October 2015, the OECD made a best practice recommendation in Action 4 of its BEPS project, sugge...
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...
This paper investigates tax planning behavior by means of inter-company finance and the effectivenes...
This paper analyzes the effectiveness of thin-capitalization rules in preventing debt finance by int...
This paper analyzes the role of Thin-Capitalization rules for capital structure choice and investmen...
This paper analyzes the role of Thin-Capitalization rules for capital structure choice and investmen...
This work is licensed under the Creative Commons Attribution-NonCommercial-NoDerivs 3.0 Licence.This...
This thesis studies the effects of thin-capitalization rules on the level and the tax rate sensitivi...
Abstract: This paper analyzes the role of Thin-Capitalization rules for capital structure choice and...
Due to international tax competition between countries in an attempt to attract foreign direct inves...
Thin capitalization rules fit in the group of the specific anti-avoidance rules (SAAR) which are leg...
Escape clauses, where small firms are exempt from particular tax rules, is a crucial feature of a n...
IFIR Working Papers are made available for purposes of academic discussion. The views expressed are ...
In October 2015, the OECD made a best practice recommendation in Action 4 of its BEPS project, sugge...
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...