Abstract
The paper evaluates the working of German CFC rules that restrict the use of foreign subsidiaries located in low-tax countries to shelter passive investment income from home taxation. While passive investments make up a significant fraction of German outbound FDI, we find that German CFC rules are quite effective in restricting investments in low-tax jurisdictions. We find evidence that the German 2001 tax reform, which unilaterally introduced exemption of passive income in medium- and high-tax countries, has led to some shifting of passive assets into countries for which the exemption was previously limited.
Originalsprache | Englisch |
---|---|
Seiten (von - bis) | 1504 - 1528 |
Fachzeitschrift | Canadian Journal of Economics |
Jahrgang | 45 |
Ausgabenummer | 4 |
DOIs | |
Publikationsstatus | Veröffentlicht - 2012 |