Base erosion and profit shifting and Mixer company: Difference between pages

From ACT Wiki
(Difference between pages)
Jump to navigationJump to search
imported>Doug Williamson
(Link with Fixed-ratio method and Worldwide interest cap pages.)
 
imported>Doug Williamson
m (Category added 8/10/13)
 
Line 1: Line 1:
(BEPS).
An international holding company located in a country with an extensive double tax treaty network and minimal foreign exchange and overseas investment controls.
Historically, the tax advantages of mixer companies included blending income streams from different tax jurisdictions, minimising the wastage of overseas tax credits, and so minimising the total tax liabilities of the group of companies.


Tax payer action that reduces the taxable profit in a jurisdiction, either by recharacterising it or by shifting it to a jurisdiction where it will be taxed at a lower rate or not taxed at all. This is seen by tax authorities as potentially abusive, even if legal.
== See also ==
 
* [[Foreign tax credit]]
Action Plan on Base Erosion and Profit Shifting is a 2013 report from the Organisation for Economic Co-operation and Development ([[OECD]]). The outline Action Plan proposals were endorsed by the [[G20]] during their summit in St. Petersburg in 2013.
 
The OECD report notes:
*  that modern business practices, the growing importance of the services and 'digital' components of the economy mean that many businesses are geographically distant from their customers and
*  "the increasing sophistication of tax planners in identifying and exploiting the legal arbitrage opportunities and the boundaries of acceptable tax planning".
 
 
These, the report says, provide multinational enterprises (MNEs) with more confidence in taking aggressive tax positions giving opportunities for the MNEs to greatly minimise their tax burden.
 
"The increasing BEPS relates chiefly to instances where the interaction of different tax rules leads to double non-taxation or less than single taxation. It also relates to arrangements that achieve no or low taxation by shifting profits away from the jurisdictions where the activities creating those profits take place."
 
 
==See also==
 
* [[Common Consolidated Corporate Tax Base]]
* [[Corporation Tax]]
* [[Diverted profits tax]]
* [[Fixed-ratio method]]
* [[Worldwide interest cap]]
* [[Tax avoidance]]
* [[Transfer pricing]]
* [[Double taxation]]
 
 
===Other links===
*  [http://dx.doi.org/10.1787/9789264202719-en Action Plan on Base Erosion and Profit Shifting, OECD Publishing, OECD 2013]


[[Category:Accounting,_tax_and_regulation]]
[[Category:Accounting,_tax_and_regulation]]

Revision as of 09:13, 8 October 2013

An international holding company located in a country with an extensive double tax treaty network and minimal foreign exchange and overseas investment controls.

Historically, the tax advantages of mixer companies included blending income streams from different tax jurisdictions, minimising the wastage of overseas tax credits, and so minimising the total tax liabilities of the group of companies.

See also