scholarly journals Cross-border or Online - Tax Competition with Mobile Consumers under Destination and Origin Principle

2019 ◽  
Author(s):  
Laura Birg
2014 ◽  
Vol 106 ◽  
pp. 42-61 ◽  
Author(s):  
Andreas Haufler ◽  
Mohammed Mardan

2020 ◽  
Vol 33 (2) ◽  
pp. 317-339
Author(s):  
Ivan Ozai

The contemporary international tax regime has been increasingly criticized over the years from varied perspectives, particularly as to the unfairness it produces for developing countries. Some commentators argue it is unjust due to the lack of participation of developing countries in the policymaking process on an equal footing. Others suggest the international tax regime was designed by affluent countries to respond to self-interested goals. Some note that its current institutional design creates opportunities for tax competition and avoidance, which more seriously affect developing economies due to their relative dependence on corporate income tax and their greater vulnerability to capital mobility. Others specifically criticize how taxing rights, that is, the entitlement of countries to tax cross-border transactions, are currently allocated between home and host countries and how they disfavour capital-importing, developing countries.


2009 ◽  
Vol 39 (4) ◽  
pp. 422-433 ◽  
Author(s):  
Kristian Behrens ◽  
Jonathan H. Hamilton ◽  
Gianmarco I.P. Ottaviano ◽  
Jacques-François Thisse

2003 ◽  
Vol 52 (1) ◽  
Author(s):  
Jürgen Stehn

AbstractThe article analyses the reform pressure on turnover and income tax systems stemming from the upsurge of crossborder B2C and B2B electronic commerce. It shows that the main challenge of the New Economy is to effectively cope with B2C international trade in digital online goods and services. However, most approaches to turnover taxation discussed in the literature give rise to several surveillance, efficiency, incentive, and identification problems. As a consequence, there seem to be only two appropriate approaches to deal with the special characteristics of international trade in cyberspace, the country-of-origin principle combined with a taxation of digital goods and services at the physical location of producers, and the community principle in combination with a withholding tax (WITHVAT). Moreover, it is shown that the special characteristics of the New Economy lead to a fiercer international tax competition with regard to income taxation.


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