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Taxing Profit in a Global Economy [Mīkstie vāki]

, , (Deputy Director of the Fiscal Affairs Departm), (Robert D. Burch Professor of Economics and Law , University of California, Berkeley.), (Professor of Business Taxation and Director of the Oxford University Centre for Business Taxation),
  • Formāts: Paperback / softback, 400 pages, height x width x depth: 20x156x234 mm, weight: 594 g
  • Izdošanas datums: 21-Jan-2021
  • Izdevniecība: Oxford University Press
  • ISBN-10: 0198808070
  • ISBN-13: 9780198808077
  • Mīkstie vāki
  • Cena: 44,95 €
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  • Formāts: Paperback / softback, 400 pages, height x width x depth: 20x156x234 mm, weight: 594 g
  • Izdošanas datums: 21-Jan-2021
  • Izdevniecība: Oxford University Press
  • ISBN-10: 0198808070
  • ISBN-13: 9780198808077
This book examines fundamental issues of principle and practice in the taxation of international corporations. It analyses the economic and wider normative basis of the existing international tax system, and proposes potential reforms, including radical methods of allocating taxing rights based on residence, destination, and formula apportionment.

The international tax system is in dire need of reform. It allows multinational companies to shift profits to low tax jurisdictions and thus reduce their global effective tax rates. A major international project, launched in 2013, aimed to fix the system, but failed to seriously analyse the fundamental aims and rationales for the taxation of multinationals' profit, and in particular where profit should be taxed. As this project nears its completion, it is becoming increasingly clear that the fundamental structural weaknesses in the system will remain.

This book, produced by a group of economists and lawyers, adopts a different approach and starts from first principles in order to generate an international tax system fit for the 21st century. This approach examines fundamental issues of principle and practice in the taxation of business profit and the allocation of taxing rights over such profit amongst countries, paying attention to the interests and circumstances of advanced and developing countries. Once this conceptual framework is developed, the book evaluates the existing system and potential reform options against it.

A number of reform options are considered, ranging from those requiring marginal change to radically different systems. Some options have been discussed widely. Others, particularly Residual Profit Split systems and a Destination Based Cash-Flow Tax, are more innovative and have been developed at some length and in depth for the first time in this book. Their common feature is that they assign taxing rights partly/fully to the location of relatively immobile factors: shareholders or consumers.

Stepping back from current political debates on combatting profit shifting and how taxing rights over the profits of the digitalized economy should be allocated, this book undertakes a fundamental review of the existing international system of taxing business profit. It argues that the existing system is fundamentally flawed, and that there is a need for radical reform.

Recenzijas

The ability for a lay reader to distil (however broadly) some essentials about current and future approaches to international tax indicates an impressive marshalling of arguments in this most labyrinthine of areas. * Tom Proverbs-Garbett, Law Society Gazette * The ideas contained in this book form important contributions to tax scholarship and are already shaping policy debates about the future of international tax cooperation. The book contains careful and detailed discussions of current and future reforms of the existing international tax system and of various alternatives proposed in the literature. * Laurens van Apeldoorn, Economics and Philosophy *

Biographies of Authors xiii
1 Introduction
1(20)
1 Tax avoidance
4(2)
2 Competition for economic activity and tax revenue
6(6)
3 Other problems
12(2)
4 A principled and comprehensive approach
14(3)
5 Proposals
17(4)
2 Key Issues in Taxing Profit
21(64)
1 What is business profit?
22(11)
2 Criteria for evaluating taxes on business profit
33(24)
3 Possible rationales for business-level taxes on profit
57(20)
4 Business-level and investor--level taxes
77(5)
5 Conclusions
82(3)
3 The Current International Tax Regime
85(46)
1 An introduction to the current regime
86(8)
2 General trends in the current regime
94(12)
3 The BEPS project
106(7)
4 Evaluating the current regime
113(14)
5 Post-BEPS reform
127(3)
6 Conclusions
130(1)
4 Fundamental Reform Options
131(44)
1 Origin country
132(19)
2 Country of residence of parent company or business headquarters
151(12)
3 Country of residence of owners
163(5)
4 Destination country
168(5)
5 Final thoughts
173(2)
5 Basic Choices in Considering Reform
175(14)
1 What degree of coordination is required?
176(3)
2 Transition
179(2)
3 Revenue neutrality and distributional issues
181(1)
4 Scope of the reformed taxes
182(2)
5 Identifying destination
184(3)
6 Final thoughts
187(2)
6 Residual Profit Allocation by Income
189(78)
1 Introduction
189(5)
2 The gradual move towards profit splits
194(5)
3 The RPAI in outline
199(38)
4 Evaluating the RPAI
237(19)
5 Implementation
256(8)
6 Conclusions
264(3)
7 Destination-Based Cash Flow Taxation
267(68)
1 The DBCFT in outline
268(11)
2 Evaluating the DBCFT
279(21)
3 Taxing financial flows
300(17)
4 Implementation
317(16)
5 Conclusions
333(2)
Appendix 1 Personal and Business Level Taxes in a Small Open Economy 335(2)
Appendix 2 The Algebra of the RPAI 337(2)
References 339(18)
Index 357
Michael P. Devereux is Director of the Oxford University Centre for Business Taxation, Professor of Business Taxation at the Saļd Business School, University of Oxford and Professorial Fellow at Oriel College, Oxford.

Alan J. Auerbach is Robert D. Burch Professor of Economics and Law, and Director of the Burch Center for Tax Policy and Public Finance at the University of California, Berkeley.

Michael Keen is Deputy Director of the Fiscal Affairs Department of the International Monetary Fund.

Paul Oosterhuis is Of Counsel, International Tax in the Washington, DC office of Skadden, Arps, Slate, Meagher & Flom.

Wolfgang Schön is the Managing Director of the Max Planck Institute for Tax Law and Public Finance in Munich and Honorary Professor at Munich University.

John Vella is Professor of Law at the University of Oxford, Assistant Director of the Oxford University Centre for Business Taxation, and a Fellow of Harris Manchester College, Oxford.