TY - UNPB
T1 - Preventing Tax arbitrage via Hybrid Mismatches: BEPS Action 2 and Developing Countries
AU - Kuzniacki, Blazej
AU - Turina, Alessandro
AU - Dubut, Thomas
AU - Mazz, Addy
AU - Quiñones, Natalia
AU - Schoueri, Luís Eduardo
AU - West, Craig
AU - Pistone, Pasquale
AU - Zimmer, Frederik
PY - 2017
Y1 - 2017
N2 - The Organization for Economic Cooperation and Development (OECD) under Base Erosion and Profit Shifting (BEPS) Action 2 indicated that tax arbitrage via hybrid mismatch arrangements "result in a substantial erosion of the taxable bases of the countries concerned" and "have an overall negative impact on competition, efficiency, transparency and fairness." The relevant action allowing for neutralising the effects of hybrid mismatch arrangements is therefore needed and justified. To achieve that purpose, the OECD developed different anti-hybrid rules under BEPS Action 2. In that regard, however, one may ask whether addressing tax arbitrage via hybrid mismatches as proposed by the OECD is of interest and relevance for developing countries. This paper aims to map that unexplored research area by means of a comparative analysis in four developing countries - Uruguay, Colombia, Brazil, and South Africa.
AB - The Organization for Economic Cooperation and Development (OECD) under Base Erosion and Profit Shifting (BEPS) Action 2 indicated that tax arbitrage via hybrid mismatch arrangements "result in a substantial erosion of the taxable bases of the countries concerned" and "have an overall negative impact on competition, efficiency, transparency and fairness." The relevant action allowing for neutralising the effects of hybrid mismatch arrangements is therefore needed and justified. To achieve that purpose, the OECD developed different anti-hybrid rules under BEPS Action 2. In that regard, however, one may ask whether addressing tax arbitrage via hybrid mismatches as proposed by the OECD is of interest and relevance for developing countries. This paper aims to map that unexplored research area by means of a comparative analysis in four developing countries - Uruguay, Colombia, Brazil, and South Africa.
UR - http://ssrn.com/abstract=2941617
U2 - 10.2139/ssrn.2941617
DO - 10.2139/ssrn.2941617
M3 - WU Working Paper
T3 - WU International Taxation Research Paper Series
BT - Preventing Tax arbitrage via Hybrid Mismatches: BEPS Action 2 and Developing Countries
PB - WU Vienna University of Economics and Business
CY - Vienna
ER -