INTERNATIONAL TAX PLANNING UNDER THE DESTINATION-BASED CASH FLOW TAX

被引:30
|
作者
Auerbach, Alan J. [1 ]
Devereux, Michael P. [2 ]
Keen, Michael [3 ]
Vella, John [4 ]
机构
[1] Univ Calif Berkeley, Berkeley, CA 94720 USA
[2] Univ Oxford, Ctr Business Taxat, Said Business Sch, Oxford, England
[3] Int Monetary Fund, Washington, DC 20431 USA
[4] Univ Oxford, Fac Law, Oxford, England
关键词
destination-based cash flow tax; international taxation; tax avoidance; tax planning; transfer pricing; profit shifting;
D O I
10.17310/ntj.2017.4.04
中图分类号
F8 [财政、金融];
学科分类号
0202 ;
摘要
This paper considers the implications of the destination-based cash flow tax (DBCFT) for three common ways of shifting taxable profits between countries: through manipulation of transfer prices, the use of debt, and locating intangible assets in low taxed jurisdictions. It shows that none of these planning devices would be available under a DBCFT, if adopted universally. This is because intra-group payments between two countries do not affect tax liabilities in either country. If adopted unilaterally, however, there would be an incentive to shift profit to the adopting country, at the expense of non-adopting countries.
引用
收藏
页码:783 / 801
页数:19
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