Corporate tax avoidance is high on the policy agenda. Government tax revenues are reduced by a few hundred billion euros according to various estimates due to the avoidance strategies of multinational companies. Both the multinationals firms and the countries facilitating these tax planning strategies have been brought into the spotlight. Also, various EU Member States have been labelled as tax havens. The multinational firms make use of differences in national tax systems, including differences in withholding taxes on dividend, interest and royalties on outgoing intra-firm income flows. This is called treaty shopping. The Parent-Subsidiary Directive (PSD) and the Interest and Royalty Directive (IRD) are used by multinationals firms to stee...
This paper examines whether the profit-shifting trend in Europe during 2003–2013 can be explained by...
This article proposes an original review of the literature on tax competition, providing new evidenc...
Die Dis cus si on Pape rs die nen einer mög lichst schnel len Ver brei tung von neue ren For schungs...
This article analyses the recent rulings from the European Court of Justice in two Danish cases and ...
This article analyses the recent rulings of the Court of Justice of the European Union in two Danish...
Multinational Companies are using treaties between states to enter into schemes for tax avoidance an...
This paper deals with recent actions of the Commission with respect to EU State Aid rules. The Commi...
Multinational companies can use hybrid financial instruments to reduce their tax burden. To achieve ...
This article demonstrates that tax avoidance via controlled foreign companies (CFCs) established in ...
Governments and policymakers are increasingly faced with the trade-off of protecting their tax reven...
peer reviewedOn July 16, 2016 the Economic and Financial Council of the European Union adopted the A...
Profit-shifting activities by multinational enterprises (MNEs) is widespread. Academics and policyma...
Multinational companies have the opportunity to apply profit shifting strategies to reduce their tax...
This paper discusses the issue of profit shifting and “aggressive” tax planning by multinational fir...
narciz.balasoiu@rei.ase.ro ABSTRACT: The issue of corporate taxation applied in the jurisdiction i...
This paper examines whether the profit-shifting trend in Europe during 2003–2013 can be explained by...
This article proposes an original review of the literature on tax competition, providing new evidenc...
Die Dis cus si on Pape rs die nen einer mög lichst schnel len Ver brei tung von neue ren For schungs...
This article analyses the recent rulings from the European Court of Justice in two Danish cases and ...
This article analyses the recent rulings of the Court of Justice of the European Union in two Danish...
Multinational Companies are using treaties between states to enter into schemes for tax avoidance an...
This paper deals with recent actions of the Commission with respect to EU State Aid rules. The Commi...
Multinational companies can use hybrid financial instruments to reduce their tax burden. To achieve ...
This article demonstrates that tax avoidance via controlled foreign companies (CFCs) established in ...
Governments and policymakers are increasingly faced with the trade-off of protecting their tax reven...
peer reviewedOn July 16, 2016 the Economic and Financial Council of the European Union adopted the A...
Profit-shifting activities by multinational enterprises (MNEs) is widespread. Academics and policyma...
Multinational companies have the opportunity to apply profit shifting strategies to reduce their tax...
This paper discusses the issue of profit shifting and “aggressive” tax planning by multinational fir...
narciz.balasoiu@rei.ase.ro ABSTRACT: The issue of corporate taxation applied in the jurisdiction i...
This paper examines whether the profit-shifting trend in Europe during 2003–2013 can be explained by...
This article proposes an original review of the literature on tax competition, providing new evidenc...
Die Dis cus si on Pape rs die nen einer mög lichst schnel len Ver brei tung von neue ren For schungs...