Book
Tax Avoidance Revisited in the EU BEPS Context
This book discusses the legal meaning of tax avoidance and aggressive tax planning in 23 EU and non-EU jurisdictions and analyses the repercussions of the BEPS initiatives on those concepts.
It further discusses (i) whether there is a supranational meaning of tax avoidance and aggressive tax planning, both at the OECD/G20 and EU levels; (ii) the role played by transfer pricing rules in tax avoidance; and (iii) consistency and hierarchy among the BEPS initiatives.
National reports examine the response to tax avoidance and aggressive tax planning in individual jurisdictions, taking into account the OECD/G20 BEPS recommendations and the European Union’s reactions. They also give notice of general anti-avoidance rules, special anti-avoidance rules and transfer pricing rules in force in each jurisdiction, analyse their meaning and scope, and trace the interactions among them. The national reports are accompanied by a general report, along with four thematic reports covering the main topics discussed during the 2016 EATLP Congress, held in Munich.
Detail Information
Call Number |
07 TAX ana
|
---|---|
Publisher | IBFD : The Netherlands., 2017 |
Collation |
xli, 807 23cm
|
Language |
English
|
Classification |
07 TAX ana
|
ISBN/ISSN |
978-90-8722-422-6
|
Edition |
-
|
Subject(s) |