The Determination of Corporate Taxable Income in the EU Member States

The Determination of Corporate Taxable Income in the EU Member States PDF Author: Dieter Endres
Publisher: Kluwer Law International B.V.
ISBN: 9041125507
Category : Law
Languages : en
Pages : 850

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Book Description
This book discusses whether elements of the international financial reporting standards (IFRS) meet the requirements of potential common European tax accounting rules. The analysis is based on general principles of taxation and on a comprehensive comparative survey of selected IFRS and tax accounting rules for all 25 EU member states (conducted by the universities of Goettingen, Mannheim, and Erlangen-Nuremberg with the support of PricewaterhouseCoopers). It concludes that, in principle, there is no irresolvable conflict between IFRS and the current tax accounting rules in the member states. After an introduction the book considers the general principles of taxation, followed by a comparative survey of IFRS and tax accounting rules in the EU member states, including taxation of corporations, determination of income, recognition, initial measurement, subsequent measurement, and special areas: pensions, leasing, treatment of domestic and foreign losses, and group taxation. Then follows an analysis of common and fundamental accounting principles, including conceptual accounting principles, accrual principles, treatment of losses, and definition of a group and consolidation. The appendices show how each country computes taxable income and grants tax incentives.

The Determination of Corporate Taxable Income in the EU Member States

The Determination of Corporate Taxable Income in the EU Member States PDF Author: Dieter Endres
Publisher: Kluwer Law International B.V.
ISBN: 9041125507
Category : Law
Languages : en
Pages : 850

Get Book Here

Book Description
This book discusses whether elements of the international financial reporting standards (IFRS) meet the requirements of potential common European tax accounting rules. The analysis is based on general principles of taxation and on a comprehensive comparative survey of selected IFRS and tax accounting rules for all 25 EU member states (conducted by the universities of Goettingen, Mannheim, and Erlangen-Nuremberg with the support of PricewaterhouseCoopers). It concludes that, in principle, there is no irresolvable conflict between IFRS and the current tax accounting rules in the member states. After an introduction the book considers the general principles of taxation, followed by a comparative survey of IFRS and tax accounting rules in the EU member states, including taxation of corporations, determination of income, recognition, initial measurement, subsequent measurement, and special areas: pensions, leasing, treatment of domestic and foreign losses, and group taxation. Then follows an analysis of common and fundamental accounting principles, including conceptual accounting principles, accrual principles, treatment of losses, and definition of a group and consolidation. The appendices show how each country computes taxable income and grants tax incentives.

Common Corporate Tax Base (CC(C)TB) and Determination of Taxable Income

Common Corporate Tax Base (CC(C)TB) and Determination of Taxable Income PDF Author: Christoph Spengel
Publisher: Springer Science & Business Media
ISBN: 3642284337
Category : Law
Languages : en
Pages : 130

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Book Description
The study conducted by the Centre of European Economic Research (ZEW), the University of Mannheim and Ernst & Young contributes to the ongoing evaluation of the proposal for a Draft Council Directive on a Common Consolidated Corporate Tax Base (CC(C)TB) released by the European Commission on March 16, 2011. For the first time, details on the determination of taxable income under the proposed Council Directive are compared to prevailing corporate tax accounting regulations in all 27 Member States, Switzerland and the US. The study presents evidence on the scope of differences and similarities between national tax accounting regulations and the Directive’s treatment in a complete, yet concise form. Based on this comprehensive comparison, it goes on to discuss remaining open questions and adjustments needed if the Directive is to be implemented in national tax law. Readers seeking a basis for taking an active part in the public debate will find a valuable source of information and a first impression of how the proposed CC(C)TB would affect corporate tax burdens in the European Union.

Corporate Tax Policy and Incorporation in the EU

Corporate Tax Policy and Incorporation in the EU PDF Author: Ruud A. de Mooij
Publisher:
ISBN:
Category : Corporations
Languages : en
Pages : 44

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Book Description


Tax Harmonisation in Europe

Tax Harmonisation in Europe PDF Author: Andreas Oestreicher
Publisher:
ISBN:
Category :
Languages : en
Pages : 34

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Book Description


Taxation of Foreign Business Income Within the European Internal Market

Taxation of Foreign Business Income Within the European Internal Market PDF Author: Jérôme Monsenego
Publisher: IBFD
ISBN: 9087221134
Category : Business enterprises, Foreign
Languages : en
Pages : 415

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Book Description
The rules of the Member States on the taxation of the foreign business income of companies, whether such rules are based on the fiscal principle of territoriality or on the principle of worldwide taxation, are in conflict with the objective of achievement of the internal market. This objective is indeed difficult to reach when it comes to the taxation of foreign income, given that the Member States are far from taxing companies doing business cross-border as if their operations were purely domestic. Areas of conflict include particularly the taxation of foreign profits, the deduction of foreign losses, the elimination of international double taxation and the attribution of profits to permanent establishments. This dissertation analyses this conflict on the basis of a study of the case law of the European Court of Justice as well as some of the key provisions of the European treaties. It appears that both the fiscal principle of territoriality and the principle of worldwide taxation give rise to complex issues of compatibility with the law of the European Union. Although the analysis conducted throughout the dissertation provides some guidance for the taxation of the foreign business income of companies, it is concluded that the Court cannot, by itself, efficiently resolve the conflict between such taxation and the objective of achievement of the internal market.

Foreign Ownership and Corporate Income Taxation

Foreign Ownership and Corporate Income Taxation PDF Author: Harry Huizinga
Publisher:
ISBN:
Category : Corporations, Foreign
Languages : en
Pages : 64

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Book Description
Recoge : 1. Introduction. - 2. Previous literature. - 3. The data. - 4. The estimation. - 5. Empirical results. - 6. Conclusions.

A Common Tax Base for Multinational Enterprises in the European Union

A Common Tax Base for Multinational Enterprises in the European Union PDF Author: Carsten Wendt
Publisher: Springer Science & Business Media
ISBN: 3834981931
Category : Business & Economics
Languages : en
Pages : 247

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Book Description
Carsten Wendt analyses the necessity, the concept as well as potential advantages and effects of a common tax base for multinational enterprises in the European Union. He addresses important issues concerning a common tax base, such as the definition of the consolidated group, the technique and scope of consolidation and the formula used to allocate the consolidated tax base among the involved member states.

Corporate Taxation, Group Debt Funding and Base Erosion

Corporate Taxation, Group Debt Funding and Base Erosion PDF Author: Gianluigi Bizioli
Publisher: Kluwer Law International B.V.
ISBN: 9403512318
Category : Law
Languages : en
Pages : 386

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Book Description
The EU’s Anti-Tax Avoidance Directive (ATAD), implemented in January 2019, confronts Member States with complex challenges, particularly via the introduction of an interest limitation rule. This timely book, the first in-depth analysis of the features and implications of the directive, provides insightful and practical discussions by experts from around Europe on the crucial interactions of the ATAD with other existing anti-tax avoidance measures, the European financial sector and the fundamental freedoms. Specific issues and topics covered include the following: relation with the OECD’s Base Erosion and Profit Sharing project (BEPS) and the EU’s Common Corporate Tax Base initiative; technical subjects relating to corporate taxation and debt funding; problems caused by the diametrically opposite tax treatment of debt and equity within a group of companies; exclusion clauses for interest expenses; and interplay between interest limitation rules and anti-hybrid rules. A comparative analysis of implementation issues in four leading Member States—Germany, Italy, Spain and The Netherlands—as well as a global general survey with regard to interest limitation rules allow readers to assess the particular complexities associated to the implementation of the ATAD. This matchless commentary by leading European tax law academics and practitioners on an important and much-debated item of EU legislation gives practitioners, enterprises and tax authorities an early opportunity to understand the practical effects of the directive in the various Member States.

Corporate Income Taxation in Europe

Corporate Income Taxation in Europe PDF Author: Michael Lang
Publisher: Edward Elgar Publishing
ISBN: 1782545425
Category : Law
Languages : en
Pages : 384

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Book Description
The book considers the impact of the CCCTB from the perspective of non-EU-based enterprises that are carrying on business in the EU through the operation of branches or subsidiaries in member states. It incorporates the perspectives of leading scholars

The EU Common Consolidated Corporate Tax Base

The EU Common Consolidated Corporate Tax Base PDF Author: Dennis Weber
Publisher: Kluwer Law International B.V.
ISBN: 9041192689
Category : Law
Languages : en
Pages : 272

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Book Description
In October 2016, the European Commission relaunched its plan to harmonize national income tax systems via the Common Consolidated Corporate Tax Base (CCCTB), perhaps the most ambitious reform of EU tax law ever attempted. This timely book offers an early analysis of this important proposal and its implications, covering issues such as the project’s scope and main elements, international considerations, the relationship with OECD’s base erosion and profit shifting (BEPS) initiative, consolidation, and anti-abuse rules. With carefully selected papers first presented at a January 2017 conference hosted by the Amsterdam Centre for Tax Law, this volume focuses on such topics and issues as the following: – ways in which the proposed CCCTB is designed to preserve the competence of Member States to set their own tax rates; – reduction of the administrative burden for multinational companies; – incentives for research and development; – automatic cross-border relief within the EU; – detailed analysis of the proposal’s formula apportionment regime; – proposed new controlled foreign company (CFC) rules; and – interest limitation rule. Because of the commitment of many Member States to keep their corporate income tax systems competitive on a stand-alone basis, the proposed CCCTB is enormously controversial. This book provides authoritative insights into problems likely to arise and discusses the prospects of how the proposal is likely to be implemented. Thus, this book proves to be of immeasurable value to taxation policymakers, practitioners, and academics.