Search results for "Tax avoidance"

showing 4 items of 14 documents

L'optimisation fusion - confusion : une synthèse privilégiée du droit et du chiffre

2010

It is not always easy to dissociate, in the settlement problems, tax and accounting, the main thing and the ac cessory. Generally, mergers are in this case, simplified mergers and universal transmissions, too. When professionals want, in this field, to optimize integrated, legal choices - tax - accounting, it is often obliged to treat the problem, without assistanc e. This autonomy look that this subject is at the crossroads of several disciplines and it is necessary to compose, without really opposing them. The field of mergers and confusion is a good synthesis of the link Law - management. The company which wishes to absorb its 100 % subsidiary can choose between simplified fusion and dis…

fusionMergerAcquired companyUnfavourable variance on mergerFavourable variance on mergerSociété absorbanteProcessus juridiqueAccounting treatmentTax avoidanceMali de fusionSociété absorbée[SHS.GESTION]Humanities and Social Sciences/Business administrationOptimisation fiscaleLaw processBoni de fusionTraitement comptable[SHS.GESTION] Humanities and Social Sciences/Business administrationAcquiring companyConfusion[ SHS.GESTION ] Humanities and Social Sciences/Business administration
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Panama and the WTO: new constitutionalism of trade policy and global tax governance

2017

"Corrigendum" in Review of International Political Economy, 24(4), p. 738 (DOI: 10.1080/09692290.2017.1332547). Tax havens and tax flight have lately received increasing attention, while interest toward multilateral trade policies has somewhat diminished. We argue that more attention needs to be paid exactly to the interrelations between trade and tax policies. Drawing from two case studies on Panama's trade disputes, we show how World Trade Organization (WTO) rules can be used both to resist attempts to sanction secrecy structures and to promote measures against tax flight. The theory of new constitutionalism can help to explain how trade treaties can 'lock in' tax policies. However, our c…

konstitutionalismitax havensEconomics and EconometricsDouble taxationSociology and Political ScienceREGIMEPanamaDirect taxHAVENSAVOIDANCECOMPETITIONInternational tradeTax reformWTO050601 international relationsEUROPEAN-UNIONconstitutionalism050602 political science & public administrationEconomicsTrade policyta517Trade barrierTAXATIONveroparatiisitta511tax policy517 Political sciencebusiness.industrycommercial policy05 social sciencesCOERCIONInternational economicsnew constitutionalism16. Peace & justiceTax avoidanceInternational taxation0506 political scienceNORMSValue-added taxkauppapolitiikkaPolitical Science and International RelationsveropolitiikkaState income tax511 EconomicsSTRUGGLEbusinessReview of International Political Economy
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Family Firm Heterogeneity and Tax Aggressiveness: A Quasi-Experimental Analysis of the Impact of Different Family Generations

2021

This paper analyses tax aggressiveness in family firm generations. Moreover, taking into account the heterogeneity in family firms, we check whether the successive generations in control show different tax avoidance behaviour. The empirical evidence, based on the quasi-experiment of the 2012 Spanish thin capitalization rule, reveals that there is a positive relationship between tax aggressiveness and successive generations. Moreover, the founder and second generations follow a similar conservative tax avoidance approach, whereas the third and fourth generations are found to be more tax aggressive.

tax aggressivenessStrategy and ManagementControl (management)family firmthin capitalization ruleTax avoidancegenerationScopusPositive relationshipDemographic economicsBusinessleverageEmpirical evidenceCapitalizationJournal of Small Business Strategy
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Efficiency of Corporate Income Tax Reliefs for the Investment Promotion in Latvia

2014

Corporate income tax rate in Latvia is one of the lowest in the European Union and is favourable for business. However, the government additionally uses numerous CIT reliefs to stimulate investments, to promote specific industries and investors. Total costs of these tax reliefs are high, but many of the goals declared by their introduction are not reached, suggesting that tax relief efficiency could be questioned. The efficiency of the existing and potential CIT reliefs should be regularly evaluated. The suggested criteria for such examination are – clear objective, type of taxable rent, existence of positive externality, appropriate design and potential for tax planning, costs in revenue f…

tax reliefs investments corporate income taxValue-added taxAd valorem taxEconomic policyDirect taxEconomicsState income taxTax reformTax avoidanceIndirect taxTaxable incomeEconomics and Business
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