Content area

Abstract

This paper explores the effects of unilateral tax provisions aimed at restricting multinationals’ tax planning on foreign direct investment (FDI). Using a unique dataset which allows us to observe the worldwide activities of a large panel of multinational firms, we test how limitations of interest tax deductibility, so-called thin-capitalization rules, and regulations of transfer pricing by the host country affect investment and employment of foreign subsidiaries. The results indicate that introducing a typical thin-capitalization rule or making it more tight exerts significant adverse effects on FDI and employment in high-tax countries. Moreover, in countries that impose thin-capitalization rules, the tax-rate sensitivity of FDI is increased. Regulations of transfer pricing, however, are not found to exert significant effects on FDI or employment.

Details

Title
Anti profit-shifting rules and foreign direct investment
Author
Buettner, Thiess 1   VIAFID ORCID Logo  ; Overesch, Michael 2 ; Wamser, Georg 3 

 University of Erlangen-Nuremberg and CESifo, Nuremberg, Germany 
 University of Cologne, Cologne, Germany 
 University of Tuebingen and CESifo, Tuebingen, Germany 
Pages
553-580
Publication year
2018
Publication date
Jun 2018
Publisher
Springer Nature B.V.
ISSN
09275940
e-ISSN
1573-6970
Source type
Scholarly Journal
Language of publication
English
ProQuest document ID
2026312310
Copyright
International Tax and Public Finance is a copyright of Springer, (2017). All Rights Reserved.