2019
DOI: 10.1111/joes.12305
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International Corporate Tax Avoidance: A Review of the Channels, Magnitudes, and Blind Spots

Abstract: This paper reviews the rapidly growing empirical literature on international tax avoidance by multinational corporations. It surveys evidence on main channels of corporate tax avoidance including transfer mispricing, international debt shifting, treaty shopping, tax deferral and corporate inversions. Moreover, it performs a meta analysis of the extensive literature that estimates the overall size of profit shifting. We find that the literature suggests that, for the most recent year, a 1 percentage-point lower… Show more

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Cited by 130 publications
(66 citation statements)
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References 112 publications
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“…This means that when the CTR gap increases by one percentage point, expected profits drop by 1.3 per cent. Two meta-analyses arrive at slightly smaller semi-elasticities of -1.0 and -0.8 (Beer et al 2020;Heckemeyer and Overesch 2017). While Beer et al (2020) illustrate a relatively stable semielasticity over time based on micro-level studies, there is substantial variation in the included estimates.…”
Section: Results From Intra-firm Profit Shiftingmentioning
confidence: 90%
See 1 more Smart Citation
“…This means that when the CTR gap increases by one percentage point, expected profits drop by 1.3 per cent. Two meta-analyses arrive at slightly smaller semi-elasticities of -1.0 and -0.8 (Beer et al 2020;Heckemeyer and Overesch 2017). While Beer et al (2020) illustrate a relatively stable semielasticity over time based on micro-level studies, there is substantial variation in the included estimates.…”
Section: Results From Intra-firm Profit Shiftingmentioning
confidence: 90%
“…2 This is not the first review of the literature. Past reviews and discussions include Beer et al (2020); Collin (2020); Reuter (2012); Dharmapala (2014); Forstater (2018); Fuest and Riedel (2012); Heckemeyer and Overesch (2017); Johannesen and Pirttilä (2016). 3 In addition to these, Cobham and Janský (2020) provide the most comprehensive review of the applied methodologies, findings, and discussion of practical indicators for the magnitude of IFFs.…”
Section: Introductionmentioning
confidence: 99%
“…A major risk for the CIT base of countries is due to profit shifting by multinational companies. For instance, international businesses can use transfer pricing techniques, international debt shifting and treaty shopping to reduce their tax liability in a country (see Beer et al 2020 for a review of evidence on profit shifting). To protect the CIT base against profit shifting, it is important for countries to adopt appropriate anti-tax avoidance measures.…”
Section: Adopt Tailored Anti-tax Avoidance Measuresmentioning
confidence: 99%
“…Our article contributes to a flourishing literature on multinational profit shifting (see, e.g., Dharmapala 2014; Beer, De Mooij, and Liu 2019, for surveys). Tax-motivated strategic (re)location of intangible assets is-next to transfer mispricing, debt shifting, tax treaty shopping, tax deferral, and restructuring of MNEs to avoid residence country taxation-widely considered to be an important tax avoidance strategy (see, e.g., Beer, De Mooij, and Liu 2019). In this article, we empirically assess this notion and determine the quantitative relevance of IP-related profit shifting.…”
Section: Hypotheses and Related Literaturementioning
confidence: 99%