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Displaying results 1 to 20 of 20.
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Access to treaty benefits
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Access to Treaty Benefits
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Preventing tax arbitrage via hybrid mismatches
BEPS Action 2 and developing countries -
The economics of the global minimum tax
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Clever planning or unfair play?
exploring the economic and statistical impacts of tax avoidance by multinationals -
Access to Treaty Benefits
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Base erosion, profit-shifting and developing countries
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A critical review of proposals for destination-based cash-flow corporate taxation as an international tax reform option
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Assessing profit shifting using Country-by-Country Reports
a non-linear response to tax rate differentials -
Reconciling tax and trade rules in the digitalised economy
challenges for ASEAN and East Asia -
Assessing profit shifting using Country-by-Country Reports a non-linear response to tax rate differentials
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Profit Shifting by Japanese multinational corporations
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What will the OECD BEPS indicators indicate?
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Tax incentives, international commitments, and tax sufficiency
another impossible trilogy -
The multilateral legal instrument
a developing country perspective -
Quantifying the OECD BEPS indicators
an update to BEPS Action 11 -
Real effects of an international tax reform for MNEs
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Statistical methodology to estimate BEPS-related financial flows or tax-related illicit financial flows channelled via phantom trade
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The BEPS Project
achievements and remaining challenges -
The economics of the global minimum tax