Spillovers in International Corporate Taxation

Spillovers in International Corporate Taxation
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Volume/Issue: Volume 2014 Issue 071
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Economics- Macroeconomics , International Taxation , PP , double taxation , residence country , tax system , single tax , taxable income , transfer pricing , withholding tax , income tax , cost of capital , companies resident , capital gain , Intra-company debt shifting , Corporate income tax , Corporate taxes , Spillovers , Personal income , Transfer pricing , Global

Summary

This paper explores the nature, significance and policy implications of spillovers in international corporate taxation—the effects of one country’s rules and practices on others. It complements current initiatives focused on tax avoidance by multinationals, notably the G20-OECD project on Base Erosion and Profit shifting (BEPS). The paper draws on the IMF’s experience on international tax issues with its wide membership, including through technical assistance (TA), and on its previous analytical work, to analyze spillovers and how they might be addressed. In doing so, it goes beyond current initiatives to look at a wide set of possible responses.