The Global Fight against Base Erosion and Profit Shifting under the OECD’s Country-by-Country Reporting Rules: A Possible Solution?

Oladiwura Ayeyemi Eyitayo-Oyesode

    Research output: ThesisDoctoral Thesis

    Abstract

    The base erosion and profit shifting (BEPS) phenomenon continues to create detrimental consequences in states. BEPS is engendered by two fundamental factors, namely, unhealthy fiscal policies of tax havens and preferential tax regimes, and transfer mispricing by multinational corporations (MNCs). The OECD, through its BEPS Project notes that the lack of transparency in the global activities of MNCs is a major cause of BEPS. To close this gap, the OECD released the CBCR Rules. This thesis discusses the severity of the BEPS phenomenon and assesses the anti-BEPS efforts of the OECD. Upon an assessment of these efforts, this thesis argues for a switch from the application of transfer pricing methods to the formulary apportionment approach. It also argues that this formulary apportionment approach is a better complement to the OECD’s CBCR Rules as a tool by which BEPS can be eliminated globally.

    Original languageCanadian English
    QualificationPh.D.
    Supervisors/Advisors
    • Brooks, Kim, Advisor
    Publication statusPublished - Jan. 1 2017

    Keywords

    • OECD
    • United Nations
    • arm's length principle
    • base erosion and profit shifting
    • corporations
    • country-by-country reporting rules
    • fiscal sovereignty
    • formulary apportionment approach
    • international taxation
    • multinational corporations
    • taxation
    • transfer pricing methods

    Disciplines

    • Business Organizations Law
    • International Law
    • Law and Economics
    • Taxation-Transnational
    • Tax Law

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