tax neutrality
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2022 ◽  
Vol 30 (3) ◽  
pp. 0-0

The rapid rise of C2C e-commerce in China has brought serious difficulties to China's tax collection and management. Based on the principle of progressive taxation, the necessity of Taxation on C2C e-commerce is analyzed and discussed. It is shown that the absence of Taxation in C2C e-commerce is contrary to the principle of tax equity and tax neutrality, and the tax revenue is lost.It is demonstrated that it is imperative that China to implement C2C e-commerce taxation in a comprehensive and standardized way. By constructing a hybrid decision game model between C2C business operators and tax authorities, the static game analysis of incomplete information is conducted for the balance of interests between tax authorities and e-commerce operators.


2022 ◽  
Vol 30 (3) ◽  
pp. 1-14
Author(s):  
Jiamian Yu ◽  
Haiyan Yu

The rapid rise of C2C e-commerce in China has brought serious difficulties to China's tax collection and management. Based on the principle of progressive taxation, the necessity of Taxation on C2C e-commerce is analyzed and discussed. It is shown that the absence of Taxation in C2C e-commerce is contrary to the principle of tax equity and tax neutrality, and the tax revenue is lost.It is demonstrated that it is imperative that China to implement C2C e-commerce taxation in a comprehensive and standardized way. By constructing a hybrid decision game model between C2C business operators and tax authorities, the static game analysis of incomplete information is conducted for the balance of interests between tax authorities and e-commerce operators.


Author(s):  
Weijiang Liu ◽  
Yangyang Li ◽  
Tingting Liu ◽  
Min Liu ◽  
Hai Wei

Facing the increasingly severe environmental problems, the development of a green and sustainable low-carbon economy has become an international trend. In China, the core issue of low-carbon economic development is effectively resolving the contradiction between the exploitation and utilization of fossil energy and greenhouse gas emissions (mainly carbon emissions). Based on the SAM matrix, we established a static Computable General Equilibrium (CGE) model to simulate the impact of carbon tax policies on energy consumption, carbon emissions, and macroeconomics variables under 10, 20, and 30% emission reductions. Meanwhile, we analyze the impact of different carbon tax recycling mechanisms under the principle of tax neutrality. We find that the carbon tax effectively reduces carbon emissions, but it will negatively impact economic development and social welfare. A reasonable carbon tax recycling system based on the principle of tax neutrality can reduce the negative impact of carbon tax implementation. Among the four simulated scenarios of carbon tax cycle, the scenario of reducing residents’ personal income tax is most conducive to realizing the “double dividend” of carbon tax.


2021 ◽  
Vol 17 (3) ◽  
pp. 56-63
Author(s):  
Paweł Daniel

Abstract The principal of neutrality is a key principle of the European Union (EU) Value Added Tax (VAT) system. The concept of tax neutrality has a number of dimensions and meanings. The purpose of the article is to examine whether the principle of neutrality shapes the main elements of VAT structure, what concepts of tax neutrality are proper to shape each of those elements, and how the principle of neutrality affects each of those elements. The method adopted for the examination is a doctrinal method – analysis of the VAT Directive provisions (using a formal-dogmatic approach supported by analysing selected judgements of the Court of Justice of the EU) but without those that concern special rules. The study showed that the basic elements of the VAT structure such as the subject of taxation, object of taxation, tax basis, tax rates, exemptions, and conditions of payment are shaped in different manner and extent by the principle of neutrality. Tax neutrality in its basic sense (marked N1) has the strongest influence on basis of taxation (improper amount of the basis disallows shifting the tax forward onto the customer and regaining output tax to relieve the taxable person entirely from the burden of the VAT) and obviously it influences the right to deduct input tax likewise in the tax period (term of refund). Tax neutrality in another sense (marked N2) by demanding equal treatment, affects such VAT elements as subject and object of taxation, exemptions and rates. Tax neutrality in the broadest sense (N3), as a term consisting of N1 and N2, concerns all the elements of VAT.


2021 ◽  
Vol ahead-of-print (ahead-of-print) ◽  
Author(s):  
Christopher Griffin ◽  
Robert Milner ◽  
James Mulholland ◽  
Daniel O’Connor

Purpose To explain the benefits and the regulations pertaining to Jersey as a domicile for investment funds. Design/methodology/approach Provides an overview of Jersey as an international financial center followed by a detailed description of Jersey regulations applying to private funds, expert funds, listed funds, regulated investor funds, retail and other collective investment funds (CIFs), and notification-only funds. Explains fund vehicles including unit trusts, limited partnerships, and companies. Discusses taxes and fund service providers. Findings Jersey is one of the world’s major international finance centers, offering location and time-zone benefits; stability and reliability; tax neutrality; a stable political, fiscal and regulatory infrastructure; and highly-skilled financial-service providers. Originality/value Expert guidance from experienced investment-funds lawyers


2021 ◽  
Vol 245 ◽  
pp. 02009
Author(s):  
Lulu Huo ◽  
Yonghe Huang ◽  
Kexin Liu ◽  
Hong Shi ◽  
Bin Liu

The green tax system includes various taxation measures implemented for the purpose of environmental protection and has been widely adopted in developed countries. Based on the basic situation of China’s tax system for automobiles, this article proposes a green tax system plan for China’s automobile products from 2021 to 2035 in accordance with the basic principles of tax neutrality, environmental protection priority, tax system flexibility and orderly progress. In addition, this article uses the nested multi-logit model to predict the impact of the plan on the structure of vehicle market and finally conducts comprehensive evaluation on the environmental benefits of the plan by combining with the changes in energy consumption level, mileage of passenger vehicles, pollutant emissions of a single vehicle and other factors.


2021 ◽  
Vol 3 (11) ◽  
pp. 201-206
Author(s):  
Viktor M. Zayernyuk ◽  
◽  
Elena I. Sedova ◽  
Zoya V. Kiryanova ◽  
◽  
...  

The article is devoted to the study of approaches to taxation in the digital economy, which is an urgent task of reforming the rules of economic digital taxation, compliance with the principles of tax justice and tax neutrality. It is noted that conflicts and contradictions between current digital technologies create many problems for the theory and practice of tax management, in connection with which it is urgent to improve the existing tax systems in order to effectively balance and distribute tax rights and tax benefits, as well as to promote a more active, inclusive and sustainable digital economy and social development.


2021 ◽  
Vol 66 (230) ◽  
pp. 101-133
Author(s):  
Stevan Lukovic ◽  
Stefan Vrzina ◽  
Milka Grbic ◽  
Milos Pjanic

The paper analyses the neutrality of taxation of investment projects on the example of Serbia. The aim of the research is to confirm/reject the existence of uniformity of the tax burden on investment projects that differ regarding the asset type, industry and the source of finance. The uniformity of tax burden, that is, the absence of discrimination and distortive effects of taxation, may be considered a confirmation of the tax neutrality. To investigate neutrality of taxation the analysis employed King-Fullerton framework of calculating effective marginal tax rates. The research results show that the tax treatment of investment projects in Serbia is nondiscriminatory. Marginal effective tax rates for different types of investment projects do not vary widely; that is, there are no investment projects that have a markedly favourable (unfavourable) tax treatment compared to the other types of investment projects.


2020 ◽  
Vol 12 (10) ◽  
pp. 4233
Author(s):  
Biao Hu ◽  
Hongjia Dong ◽  
Ping Jiang ◽  
Jingan Zhu

Faced with increasing conflicts between economic and environmental development, it is extremely urgent to promote the green growth of enterprises. As an incentive environmental regulation measure, an environmental tax has been proven to effectively alleviate environmental problems and reduce corporate pollutant emissions. From the perspective of environmental tax equity and efficiency, this study collects more than 100,000 enterprises’ pollutant-discharge and pollutant-discharge fee data from 4300 pollutant disposal enterprises in Yunnan Province, China in 2017. The study analyzes the marginal abatement cost (MAC) of water pollution and air pollution in key industries by using the MAC accounting method. Under the three scenarios of low, medium and high tax rates set by the study, the study evaluates the applicable tax rates of environmental tax of enterprises under different tax rates. The main findings of the study are: (1) the MAC of pollutants in various industries is quite different in different industries; (2) the environmental tax rate of 2018 is generally low and is not enough to encourage enterprises to reduce more pollution; (3) most enterprises will not invest a large amount of funds to carry out technological transformation for green production, without the government’s mandatory environmental regulation measure. The study recommends that the government needs to increase the environmental tax rate, gradually approach the cost of corporate pollutant-treatment and force the technological transformation of enterprises. At the same time, the government itself needs to do a good job of tax neutrality, increase the compensation for environmental protection behaviors of enterprises, and encourage green development of enterprises. Finally, the taxation supervision should be strengthened, and the tax violations of enterprises should be checked strictly for avoidance of tax cuts against rules.


2020 ◽  
Vol 17 (1) ◽  
pp. 134-142
Author(s):  
Igor Chugunov ◽  
Valentyna Makohon ◽  
Andrii Vatulov ◽  
Yuliya Markuts

The dynamics of socio-economic processes requires the general government revenue to be adapted to changes in financial and economic conditions. The study aims to improve the scientific and methodological approach to general government revenue in the system of fiscal regulation. The impact of general government revenue on economic growth was estimated using a correlation-regression analysis and the multiplier effect concept. The authors found out that, in order to ensure the macroeconomic stability and accelerate the economic growth in conditions of transformational changes, it is reasonable to increase the share of direct taxes in the general government revenue structure, to implement the prudential and coherent fiscal policy with the strategic goals of the countries’ social and economic development. The authors substantiated that the increased share of direct taxes of the consolidated budget of Ukraine in GDP by one percent causes the real GDP to grow by 2.94 percent, whereas the increased share of the indirect taxes by one percent causes the real GDP to decrease by 0.45 percent; for 2014–2018, 28 percent of taxes are on average withdrawn per unit of GDP growth. The study results indicate that effective fiscal regulation is ensured only by the synergy of its fiscal, regulatory, and incentive functions, the reconciliation of fiscal sustainability and tax neutrality principles. AcknowledgmentThe article was prepared on the subject of the GDR: “The Financial and Budgetary Strategy for Economic Growth” (No. 0119U100577).


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