scholarly journals Tax Havens: Toward An Optimal Selection Approach Based On Multicriteria Analysis

Author(s):  
Tov Assogbavi ◽  
Sébastien Azondékon Azondékon

The purpose of this paper is to demystify the concept of tax havens. After defining tax havens in a tax-planning framework, the paper introduces a tax haven selection methodology based on a variant of Gibson and Black multicriteria analysis to identify the most suitable tax haven for a given entity. The study shows the importance of subjective variables and how to incorporate them into a tax haven selection process. While tax advantages remain the key factor when searching for a tax haven solution, our study shows that non-quantifiable factors are also crucial in determining the most suitable tax haven for a given entity.

2019 ◽  
Vol 11 (10) ◽  
pp. 2803
Author(s):  
Samer Khouri ◽  
Lubos Elexa ◽  
Michal Istok ◽  
Andrea Rosova

The main aim of this paper is to provide empirical evidence about profit-shifting to selected tax havens by Slovak companies. This contribution focused on the very rare evidence of use of tax havens by Slovak companies not only in the field of corporate income tax, but also in selected areas of profitability. Two sources of data were used. Lists of Slovak companies with tax haven links were provided by the company, Bisnode, and financial statements of investigated companies were gained from the Finstat database. Based on the available data, the investigated period was between 2008 and 2016. We statistically tested selected indicators (ETR, taxes per assets, ROE, ROA, and ROS) of Slovak companies with direct ownership links to tax havens compared to their counterparts. Our findings suggest that Slovak companies with an ownership link to tax havens pay significantly lower taxes compared to companies without ownership links to tax havens during the period monitored. The aggressive tax planning was not only confirmed by the significantly lower reported values of ETR and taxes per assets, but also by the lower values of ROA. On the one side, Slovak companies with ownership links to midshore tax havens had the highest values of ROE, ROA, and ROS, but on the other side, these Slovak companies reported the highest ETR among the appointed categories (onshore, midshore, and offshore). The lowest taxes paid per unit of total assets were found in Slovak companies with ownership links to onshore tax havens. The analysis was supplemented by the changes of the selected indicators before and after obtaining an ownership link to a tax haven.


2017 ◽  
Vol 25 (1) ◽  
pp. 86-104 ◽  
Author(s):  
Akanksha Jalan ◽  
R. Vaidyanathan

Purpose This paper is an effort to demystify tax havens – what they mean, what they offer and why they are harmful. It offers a detailed analysis of abusive tax planning by multinational corporations, involving the use of tax havens, shedding light on how corporations use “egregious” tax-sheltering techniques right from their incorporation to avoid payment of income taxes. The paper also discusses global efforts against the phenomenon and policy recommendations. Design/methodology/approach The paper brings together definitions from various sources to accurately define and identify tax haven economies. The key contribution of the paper is to diagrammatically explain the use of tax havens by MNCs right from the time they are incorporated. It explains how every big and small corporate decision is motivated by the desire to save taxes and how tax havens come in handy for such corporations. Findings This paper finds that base erosion and profit shifting (BEPS) is a pervasive phenomenon, largely due to the suppliers of tax haven operations. Here, corporate decisions are divided into strategic and operational and further subdivided into investing, operating and financing activities, and provide real-life corporate examples of how tax havens fit into almost every corporate decision. This is the key contribution of the paper. Research limitations/implications This is a review paper that sums up knowledge about tax havens and their use by MNCs. It does not, however, use empirical data to corroborate its findings. It would be interesting to see empirically whether MNCs with greater tax haven operations actually have lower effective tax rates. Practical implications The paper can provide a framework for designing tax policies in a manner that geographical arbitrage can be minimized. It can enable formulation of the necessary incentive structures in the form of penalties, rewards and the like for both the users and providers of tax haven services to curb massive base and profit shifting out of high-tax countries. Social implications The paper is one small step in the direction of bringing about equality in tax payments, i.e. to align real tax systems with the canon of equality that Adam Smith once dreamt of. Taxes should be progressive in nature, implying that the amount of taxes paid should increase with one’s income. However, with the advent of offshore financial centres and egregious tax planning techniques, only the smaller corporations and middle-class individuals end up paying taxes, while the rich and bigger corporations get away easily. Originality/value The paper explores in detail the manner in which MNCs use, rather exploit, regulatory loopholes in tax systems of different countries to save on tax payments. By shifting their tax base from one country to another, MNCs not only hamper Treasury collections but also breed disrespect for the global tax system. The paper can help in designing tax laws in tune with such corporate motives.


2015 ◽  
Vol 30 (4) ◽  
pp. 311-327 ◽  
Author(s):  
Megan F. Hess ◽  
Raquel Meyer Alexander

ABSTRACT This instructional case explores the ethical issues surrounding the corporate tax-planning and tax-avoidance strategies of multinational organizations. Drawing on the real-world experiences of SABMiller, one of the world's largest beverage companies, this case provides a launching point for students to consider the ethics of corporate tax planning. The ethics of multinational tax practices, especially the use of tax havens, has recently become the focus of media and legislative debate in both the U.S. and the U.K., and many well-respected companies, such as General Electric, Apple Inc., and Starbucks are now feeling the pressure to reform. In a post-case learning assessment, students demonstrated significant improvement in their understanding and indicated that they enjoyed discussing this controversial issue. The “Implementation Guidance” section and Teaching Notes offer guidance for in-class discussion of the ethical and tax issues in this case.


2021 ◽  
Vol 24 (1) ◽  
pp. 182-196
Author(s):  
Vít Jedlička

Tax avoidance is an important element of management in the global economy. Managers use tax havens for reducing a company’s effective tax rate. The most common practices in international tax planning can be divided into three groups: loans and their related interest, royalties, and transfer pricing. The aim of this article is to find the determinants of the tax burden faced by foreign-owned subsidiaries. Therefore, a model was created for the tax burden, focusing on the special position of subsidiaries within international tax planning. For this purpose, taxes/outcomes was established as a new dependent variable. The panel data used include Czech companies that are owned by parent companies located in other EU countries. The model distinguishes EU tax havens from regular member states; sector dummy variables are also included. The regression model that was created did not confirm the assumed dependencies. Rather, it indicated other important determinants: profitability, the share of intangible assets, size, and the dummy variable for the ICT sector. Based on the regression results, the independent variables connected with known tax planning schemes have relatively low importance. The significance of these results can be seen in the subsequent conclusions. First of all, there is no difference between the subsidiaries’ tax burdens based on the parent company’s location. Corporations use international tax planning whether or not they are owned from a tax haven. The second significant conclusion indicates the importance of certain sectors and their attributes concerning the tax burden. Companies from the ICT sector are linked to a lower tax burden. On the other hand, the dependencies within the financial sector are not statistically significant. From the perspective of further research, it would be constructive to incorporate the subsidiary’s position within the group.


1987 ◽  
Vol 19 (2) ◽  
pp. 454-473 ◽  
Author(s):  
E. G. Coffman ◽  
L. Flatto ◽  
R. R. Weber

We model a selection process arising in certain storage problems. A sequence (X1, · ··, Xn) of non-negative, independent and identically distributed random variables is given. F(x) denotes the common distribution of the Xi′s. With F(x) given we seek a decision rule for selecting a maximum number of the Xi′s subject to the following constraints: (1) the sum of the elements selected must not exceed a given constant c > 0, and (2) the Xi′s must be inspected in strict sequence with the decision to accept or reject an element being final at the time it is inspected.We prove first that there exists such a rule of threshold type, i.e. the ith element inspected is accepted if and only if it is no larger than a threshold which depends only on i and the sum of the elements already accepted. Next, we prove that if F(x) ~ Axα as x → 0 for some A, α> 0, then for fixed c the expected number, En(c), selected by an optimal threshold is characterized by Asymptotics as c → ∞and n → ∞with c/n held fixed are derived, and connections with several closely related, well-known problems are brought out and discussed.


Kybernetes ◽  
2019 ◽  
Vol 49 (9) ◽  
pp. 2263-2284 ◽  
Author(s):  
Chunxia Yu ◽  
Zhiqin Zou ◽  
Yifan Shao ◽  
Fengli Zhang

Purpose The purpose of this paper is to develop a novel integrated supplier selection approach incorporating decision maker’s risk attitude using the artificial neural network (ANN), analytic hierarchy process (AHP) and technique for order of preference by similarity to ideal solution (TOPSIS) methods. Design/methodology/approach In the proposed approach, the ANN model is used to classify decision maker’s risk attitude; the fuzzy AHP method is used to determine the relative weights of evaluation criteria; and the fuzzy TOPSIS method is used to evaluate ratings of suppliers. Finally, experiments are conducted to verify the feasibility and efficiency of the proposed integrated approach. Findings Experiments results show that the proposed integrated approach is effective and efficient to help decision makers to select suitable suppliers according to their risk attitudes. Originality/value The aim of this paper is to develop a novel integrated supplier selection approach incorporating decision maker’s risk attitude using the ANN, AHP and TOPSIS methods. The decision maker’s risk attitude toward procurement transaction is originally considered in supplier selection process.


1999 ◽  
Vol 35 (4) ◽  
pp. 391-405 ◽  
Author(s):  
L. D. MAMET ◽  
R. DOMAINGUE

There is a need to shorten the selection process for sugarcane (Saccharum hybrids) in Mauritius in order to improve the efficiency of the varietal improvement programme. On average six to seven ratoon crops are grown in Mauritius and selection for ratooning ability is of major importance. The current selection cycle lasts around 15 years and ratooning ability is tested on five occasions. Data (estimates of sucrose content, cane and sugar yields) from the Mauritius Sugar Industry Research Institute's selection trials planted in 1986–90, representing 85 trials (9680 genotypes) in Stage 3 (one-line stage) and 141 trials (2620 genotypes) in Stage 4 (two-line stage) were analysed. It was hypothesized that 1st ratoon (1R) data in Stage 3 and 2nd ratoon (2R) in Stage 4 were effectively redundant and that the cycle could be shortened by two years without loss of precision. Repeatability estimates, between plant cane (P) and the mean of P and 1R (P + 1R) in Stage 3, and between (P + 1R) and the mean of plant cane, 1st and 2nd ratoon (P + 1R + 2R) in Stage 4, were found to be positive and highly significant for all characters indicating that the extra ratoon data were unnecessary.Present and proposed selection scenarios were studied further using differential-selection methodology. The coincidence indices (CI) obtained with the two scenarios were extremely high (63–82% in Stage 3 and 91–96% in Stage 4) again indicating that the additional ratoon data were not cost effective. Realized gains from selection in Stage 4 based on (P + 1R + 2R) as opposed to (P + 1R) were shown to be small or even negative. The results concur extremely well with published data from Australia and the USA. It was therefore recommended that the cycle be reduced by two years and that the resources be more usefully allocated to test genotypes over more sites and more replicates.


2016 ◽  
Vol 19 (5) ◽  
pp. 879-880 ◽  
Author(s):  
SUSAN C. BOBB ◽  
NORIKO HOSHINO

Research on bilingualism has documented profound brain plasticity by which the bilingual experience reconfigures the cognitive system. These effects include temporary as well as more enduring ones, and parallel activation of a bilingual's two languages may well be a key factor at the root of these observed changes. Recent recommendations (Green, 2011) have emphasized that research on code-switching in particular could provide a fruitful avenue for investigating the nature of how a bilingual speaker selects words and ultimately produces an utterance. Findings to date illustrate that if anything, the reach of co-activation is more extensive than previously thought, extending to the phonology and syntax of languages. While the degree of permeability may compound the perceived difficulty of the selection process, it is also a testament to the documented mental agility of bilinguals.


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