Tax avoidance: Difference between revisions
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imported>Doug Williamson (Add link.) |
imported>Doug Williamson (Update links.) |
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* [[Discovery assessment]] | * [[Discovery assessment]] | ||
* [[GAAR]] | * [[GAAR]] | ||
* [[ | * [[His Majesty's Revenue & Customs]] (HMRC) | ||
* [[ | * [[Internal Revenue Service]] (IRS) | ||
* [[IR35]] | * [[IR35]] | ||
* [[Panama Papers]] | * [[Panama Papers]] | ||
* [[Paradise Papers]] | * [[Paradise Papers]] | ||
* [[Sweetheart deal]] | * [[Sweetheart deal]] | ||
* [[Tax]] | |||
* [[Tax arbitrage]] | * [[Tax arbitrage]] | ||
* [[Tax evasion]] | * [[Tax evasion]] |
Latest revision as of 15:48, 28 September 2022
The use of legal means to reduce tax liabilities or to achieve favourable tax timing differences.
A large number of offshore tax avoidance structures and participating individuals and corporations were disclosed by the leaking of the Panama Papers and the Paradise Papers.
See also
- Anti-avoidance provision
- Arm’s length principle
- Base erosion and profit shifting
- Business in Europe: Framework for Income Taxation
- CbC reporting
- Discovery assessment
- GAAR
- His Majesty's Revenue & Customs (HMRC)
- Internal Revenue Service (IRS)
- IR35
- Panama Papers
- Paradise Papers
- Sweetheart deal
- Tax
- Tax arbitrage
- Tax evasion
- Tax haven
- Tax relief
- Taxable person
- Taxable transaction