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Optimal tax routing: network analysis of FDI diversion

Research output: Contribution to journalArticleScientificpeer-review

The international corporate tax system is considered a network. Just like for transportation, shortest paths are computed, which minimize tax payments for multinational enterprises when they repatriate profits. We include corporate income tax rates, withholding taxes on dividends, double tax treaties, and double taxation relief methods. We find that treaty shopping leads to an average potential reduction of the tax burden on repatriated dividends of about 6% points. An indicator for centrality in the tax network identifies the UK, Luxembourg, and the Netherlands as the most important conduit countries. Low-tax havens do not have a crucial role in reducing dividend repatriation taxes. By contrast, tax haven financial centres do. In the regressions we find that the centrality measures are robustly significant explanatory variables for bilateral FDI stocks. This also holds for our treaty shopping indicator.

Original languageEnglish
Pages (from-to)1321-1371
Number of pages51
JournalInternational Tax and Public Finance
Volume25
Issue number5
DOIs
StatePublished - Oct 2018

    Research areas

  • Corporate taxation, Tax treaties, Treaty shopping, Tax havens, Shortest path, FOREIGN DIRECT-INVESTMENT, TREATIES, DETERMINANTS, TAXATION, GRAVITY
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