Tax planning with intangibles has become one of the most popular and most vividly debated topics in international taxation. We incorporate various intellectual property (IP) tax planning models into forward-looking measures of effective tax rates, namely the disposal of intangibles to low-tax subsidiaries, intra-group licensing arrangements, and intra-group contract R&D. In doing so, we draw upon the methodology put forward by Devereux and Griffith and amend this model by considering a research & development (R&D) investment which is carried out by a parent company, whereby the resulting intangible is exploited by a foreign subsidiary. We point out analytically under which conditions IP tax planning achieves the objective of reducin...
This paper assesses the spillover effect of European Patent Boxes on affiliates of MNEs operating in...
Multinational entities have many possibilities to utilise the global tax scheme by rearranging their...
This thesis contributes to the current debate on Intellectual Property (IP) Box regimes and IP tax p...
Tax planning with intangibles has become one of the most popular and most vividly debated topics in...
11 European countries now operate IP Box regimes that provide substantially reduced rates of corpora...
The paper discusses the effects of the corporate tax on local R&D expenditures by multinational ente...
Numerous empirical studies have analysed the influence of corporate taxation on the location of inta...
Intangible assets, like patents and trademarks, are increasingly seen as the key to competitive succ...
We exploit a quasi-experimental setting to cleanly identify the effect of the adoption of an intelle...
Intangible assets are one major source of profit shifting opportunities due to a highly intransparen...
This article deals with intellectual property (IP) boxes as an important factor in tax competition a...
The focus of this paper is on effects from tax incentives for research and development inputs (R&D) ...
Inquiries about this document can be made to HARC@hawaii.eduUsing the unique setting of a large tax ...
This article examines the federal income tax regime governing intellectual property using normative ...
Intellectual property law is territorial in nature. That is why intellectual property assets have al...
This paper assesses the spillover effect of European Patent Boxes on affiliates of MNEs operating in...
Multinational entities have many possibilities to utilise the global tax scheme by rearranging their...
This thesis contributes to the current debate on Intellectual Property (IP) Box regimes and IP tax p...
Tax planning with intangibles has become one of the most popular and most vividly debated topics in...
11 European countries now operate IP Box regimes that provide substantially reduced rates of corpora...
The paper discusses the effects of the corporate tax on local R&D expenditures by multinational ente...
Numerous empirical studies have analysed the influence of corporate taxation on the location of inta...
Intangible assets, like patents and trademarks, are increasingly seen as the key to competitive succ...
We exploit a quasi-experimental setting to cleanly identify the effect of the adoption of an intelle...
Intangible assets are one major source of profit shifting opportunities due to a highly intransparen...
This article deals with intellectual property (IP) boxes as an important factor in tax competition a...
The focus of this paper is on effects from tax incentives for research and development inputs (R&D) ...
Inquiries about this document can be made to HARC@hawaii.eduUsing the unique setting of a large tax ...
This article examines the federal income tax regime governing intellectual property using normative ...
Intellectual property law is territorial in nature. That is why intellectual property assets have al...
This paper assesses the spillover effect of European Patent Boxes on affiliates of MNEs operating in...
Multinational entities have many possibilities to utilise the global tax scheme by rearranging their...
This thesis contributes to the current debate on Intellectual Property (IP) Box regimes and IP tax p...