Bachelorarbeit, 2021
54 Seiten, Note: 1.0
1. Introduction
2. Literature Review – BEPS Initiative
3. Hypothesis Development
4. Empirical Setting
4.1. Sample Selection
4.2. Regression Model
5. Empirical Results
5.1. Descriptive Statistics
5.2. Key Results
5.3. Cross-Sectional Tests
5.4. Robustness Tests
5.5. Limitations
6. Conclusion
7. Bibliography
This bachelor thesis investigates whether the OECD's Base Erosion and Profit Shifting (BEPS) initiative has effectively reduced corporate tax avoidance among multinational enterprises. By employing an empirical panel regression analysis of firms in the European Union, the study examines the impact of various BEPS-related measures on firms' consolidated Generally Accepted Accounting Principles (GAAP) Effective Tax Rates (ETRs).
1. Introduction
According to John Maynard Keynes, (corporate) tax avoidance, which is defined as “the reduction in explicit taxes paid” (Hanlon & Heitzman, 2010, p. 137), is a rewarding activity. Undoubtedly, those rewards come at a price. In particular, Base Erosion and Profit Shifting (BEPS) practices, which relate to multinational enterprises exploiting gaps and mismatches between different countries' corporate tax systems, involve considerable costs. Those practices namely cost countries around USD 100-240 billion in revenue per year, which is equivalent to 4-10% of the global corporate tax revenue (OECD, 2019b). In order to reduce the rewards associated with (corporate) tax avoidance, and thus, tackle the issue of BEPS, in 2015, the G20 countries, together with the Organization (for) Economic Co-Operation and Development (OECD), decided to initiate the BEPS initiative, which is based on 15 separate action items addressing various BEPS-related issues, such as, for instance, transfer pricing (Action Items 8-10).
This paper aims at answering the research question as to whether the BEPS initiative reduced corporate tax avoidance. Given the literature, I expect that corporate tax avoidance among multinational enterprises declined in response to the introduction of the BEPS initiative. In order to test my hypothesis, an empirical analysis, using a firm’s consolidated GAAP ETR as a measure of corporate tax avoidance, is conducted. After considering the development of a firm’s mean consolidated GAAP ETR over time, I examine the influence of several independent variables relating to the issues specifically addressed by the BEPS initiative on a firm’s consolidated GAAP ETR. By conducting several cross-sectional tests, cross-sectional variation in those effects, depending on firm size, as measured by total assets, firm profitability, as measured by Return on Assets (ROA), and country size, as measured by Gross Domestic Product (GDP), is also explored.
1. Introduction: Presents the research problem regarding corporate tax avoidance, introduces the BEPS initiative, and outlines the thesis structure.
2. Literature Review – BEPS Initiative: Reviews the mechanisms of BEPS practices and details the 15 Action Items introduced by the OECD to mitigate them.
3. Hypothesis Development: Synthesizes existing literature to formulate the expectation that the BEPS initiative has led to a decline in corporate tax avoidance.
4. Empirical Setting: Describes the data sample selection criteria and the panel regression model used for the quantitative analysis.
5. Empirical Results: Reports the descriptive statistics, regression outcomes, cross-sectional tests, robustness checks, and study limitations.
6. Conclusion: Summarizes the key findings, confirming that the BEPS initiative has contributed to reducing corporate tax avoidance rewards.
corporate tax avoidance, BEPS, BEPS initiative, hybrid mismatch rules, transfer pricing, GAAR, thin-capitalization rules, CFC rules, exit tax system, disclosure regimes, CBC reporting, GAAP ETR, multinational enterprises
The thesis examines whether the implementation of the OECD's BEPS initiative has successfully reduced corporate tax avoidance practices among multinational enterprises.
The study focuses on international corporate tax systems, BEPS Action Items, tax transparency, anti-avoidance rules such as CFC and thin-capitalization regimes, and the measurement of effective tax rates.
The primary objective is to determine if the BEPS initiative has led to a decline in corporate tax avoidance for multinational firms within the European Union.
The author conducts a quantitative empirical analysis using a panel regression model on data obtained from Compustat Global.
It includes a detailed literature review of BEPS, the development of a testable hypothesis, a comprehensive empirical setting, and an analysis of regression results, including robustness tests and limitations.
Key terms include corporate tax avoidance, BEPS initiative, hybrid mismatch rules, transfer pricing, CFC rules, and GAAP ETR.
The empirical analysis reveals that BEPS-related effects, such as the prevalence of hybrid mismatch or thin-capitalization rules, are often more pronounced in small and highly profitable firms compared to large ones.
The findings suggest that the effects of BEPS measures appear larger in scope among large countries compared to small countries.
The author notes that consolidated GAAP ETR captures both current and deferred tax expenses and can be subject to volatility, which may not fully isolate specific tax-deferral strategies.
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