The Consequences of Hybrid Finance in Thin Capitalization Situations. An Analysis of the Substantive Scope of National Thin Capitalization Rules with special Emphasis on Hybrid Financial Instruments.

Margret Klostermann

Publikation: Working/Discussion PaperWU Working Paper

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Abstract

The choice of corporate finance is an important source of tax planning opportunities for multinational companies. Investing companies have to be aware of inconsistent tax classification of equity and debt between countries in particular. Additionally, thin capitalization rules have to be taken into account. In response to changing corporate needs the present paper focuses on the tax consequences of hybrid financial instruments. Only some literature exists on cross-border hybrid finance. Especially the linkage between the two areas - hybrid finance and thin capitalization - both on a national and international level had to be dealt with academically. The paper analyses the substantive scope of thin capitalization regimes in general and in detail. The main finding is that the tax consequences of hybrid instruments reverse when used in thin capitalization situations and that traditional tax policy has to be reconsidered. (author's abstract)
OriginalspracheEnglisch
ErscheinungsortVienna
HerausgeberSFB International Tax Coordination, WU Vienna University of Economics and Business
PublikationsstatusVeröffentlicht - 2007

Publikationsreihe

NameDiscussion Papers SFB International Tax Coordination
Nr.22

WU Working Paper Reihe

  • Discussion Papers SFB International Tax Coordination

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