peer reviewedOn July 16, 2016 the Economic and Financial Council of the European Union adopted the Anti-Tax-Avoidance Directive (ATAD). The proposed controlled-foreign-company (CFC) rule in the ATAD requires a minimum tax rate in the host country of a multinational's controlled-foreign subsidiary to avoid the reattribution of the subsidiary's income to the country of its parent company. The Directive allows member states to remain free to set the CFC threshold autonomously by laying down a minimum standard. Member states can thus either opt for a loose CFC rule by setting the minimum required control threshold (i.e., 50% of the country's own corporate income tax rate) or impose a tight CFC rule by applying a higher threshold. Against this b...
Over the last decades business has become increasingly globalised and corporations are no longer lim...
World experience in economic development over recent periods indicates that, despite periodically oc...
This paper explores the effects of unilateral tax provisions aimed at restricting multinationals' ta...
By introducing controlled-foreign-company (CFC) rules, the parent country of a multinational firm re...
Governments worldwide use targeted tax policies to trade off the gains from increased FDI against t...
Capital and labor mobility facilitates cross-border activities of enterprises. In the era of...
The Controlled Foreign Company (CFC) regime proposed by the Commission as part of the newly launched...
This article deals with the problems of taxation of controlled foreign companies (hereinafter: CFC) ...
Using a large panel dataset on worldwide operations of multinational firms, this paper studies one o...
We investigate the influence of one main anti tax avoidance measure, controlled foreign corporation ...
We investigate the influence of controlled foreign corporation (CFC) rules on cross-border merger an...
Recently, the controlled foreign company (CFC) rules have gained increased attention; as such, rules...
This article demonstrates that tax avoidance via controlled foreign companies (CFCs) established in ...
This thesis studies the development of CFC rules and assesses the effect that CFC rules have on cap...
We investigate investment in formerly domestic target firms once they enter a multinational entity (...
Over the last decades business has become increasingly globalised and corporations are no longer lim...
World experience in economic development over recent periods indicates that, despite periodically oc...
This paper explores the effects of unilateral tax provisions aimed at restricting multinationals' ta...
By introducing controlled-foreign-company (CFC) rules, the parent country of a multinational firm re...
Governments worldwide use targeted tax policies to trade off the gains from increased FDI against t...
Capital and labor mobility facilitates cross-border activities of enterprises. In the era of...
The Controlled Foreign Company (CFC) regime proposed by the Commission as part of the newly launched...
This article deals with the problems of taxation of controlled foreign companies (hereinafter: CFC) ...
Using a large panel dataset on worldwide operations of multinational firms, this paper studies one o...
We investigate the influence of one main anti tax avoidance measure, controlled foreign corporation ...
We investigate the influence of controlled foreign corporation (CFC) rules on cross-border merger an...
Recently, the controlled foreign company (CFC) rules have gained increased attention; as such, rules...
This article demonstrates that tax avoidance via controlled foreign companies (CFCs) established in ...
This thesis studies the development of CFC rules and assesses the effect that CFC rules have on cap...
We investigate investment in formerly domestic target firms once they enter a multinational entity (...
Over the last decades business has become increasingly globalised and corporations are no longer lim...
World experience in economic development over recent periods indicates that, despite periodically oc...
This paper explores the effects of unilateral tax provisions aimed at restricting multinationals' ta...