臺灣稅改採行受控外國公司所得稅課稅制度之可行性

臺灣稅改採行受控外國公司所得稅課稅制度之可行性 === ABSTRACT Given that each country is limited by its fiscal jurisdiction, globalization creates more opportunity for individuals as well as enterprises to avoid taxation. One possibility in the avoidance of taxation is to divert domestic-source income to a foreign entity so...

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Main Authors: 丁碧蓮, Denise Ding
Language:中文
Published: 國立政治大學
Subjects:
Online Access:http://thesis.lib.nccu.edu.tw/cgi-bin/cdrfb3/gsweb.cgi?o=dstdcdr&i=sid=%22G0919330081%22.
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spelling ndltd-CHENGCHI-G09193300812013-01-07T19:33:46Z 臺灣稅改採行受控外國公司所得稅課稅制度之可行性 The feasibility of the adoption of controlled foreign corporation measures in Taiwan tax reform 丁碧蓮 Denise Ding 所得稅課稅制度 臺灣稅改採行受控外國公司所得稅課稅制度之可行性 ABSTRACT Given that each country is limited by its fiscal jurisdiction, globalization creates more opportunity for individuals as well as enterprises to avoid taxation. One possibility in the avoidance of taxation is to divert domestic-source income to a foreign entity so as to avoid resident country taxation. Due to concerns that its domestic taxpayers may take advantage of tax deferrals, many countries enacted legislation to establish CFC rules. The purpose of the legislation is to protect the national tax base from erosion due to transfers of income from residents to companies in tax havens or low tax jurisdictions. At present, Taiwan does not have CFC measures in place. With the increase in the amount of investment through tax haven countries, it seems that Taiwan government is seriously considering adopting the CFC measures. Even though many countries have already implemented or are considering implementing such measures, such measures need to be carefully examined before their implementation given the differences in economic development, international trade and investment, political and cultural conditions of each country. This paper wishes to aid government institutions to formulate feasible and effective tax measures. First, it examines whether the Taiwan government also faces the same problem of its residents diverting their income to foreign countries. It concludes that the possibility of the Taiwanese businesses engaging in tax diverting activities is also high. The paper then focuses on the analysis of the feasibility of adoption of CFC measures in Taiwan. After examining government concerns and the impact on the businesses, it concludes that Taiwan is not yet in a good position to implement such a complex rule. Thus, the paper recommends some steps that the government may take at this stage and highlights some points for consideration when Taiwan is in a better position to adopt such measures. 國立政治大學 http://thesis.lib.nccu.edu.tw/cgi-bin/cdrfb3/gsweb.cgi?o=dstdcdr&i=sid=%22G0919330081%22. text 中文 Copyright © nccu library on behalf of the copyright holders
collection NDLTD
language 中文
sources NDLTD
topic 所得稅課稅制度
spellingShingle 所得稅課稅制度
丁碧蓮
Denise Ding
臺灣稅改採行受控外國公司所得稅課稅制度之可行性
description 臺灣稅改採行受控外國公司所得稅課稅制度之可行性 === ABSTRACT Given that each country is limited by its fiscal jurisdiction, globalization creates more opportunity for individuals as well as enterprises to avoid taxation. One possibility in the avoidance of taxation is to divert domestic-source income to a foreign entity so as to avoid resident country taxation. Due to concerns that its domestic taxpayers may take advantage of tax deferrals, many countries enacted legislation to establish CFC rules. The purpose of the legislation is to protect the national tax base from erosion due to transfers of income from residents to companies in tax havens or low tax jurisdictions. At present, Taiwan does not have CFC measures in place. With the increase in the amount of investment through tax haven countries, it seems that Taiwan government is seriously considering adopting the CFC measures. Even though many countries have already implemented or are considering implementing such measures, such measures need to be carefully examined before their implementation given the differences in economic development, international trade and investment, political and cultural conditions of each country. This paper wishes to aid government institutions to formulate feasible and effective tax measures. First, it examines whether the Taiwan government also faces the same problem of its residents diverting their income to foreign countries. It concludes that the possibility of the Taiwanese businesses engaging in tax diverting activities is also high. The paper then focuses on the analysis of the feasibility of adoption of CFC measures in Taiwan. After examining government concerns and the impact on the businesses, it concludes that Taiwan is not yet in a good position to implement such a complex rule. Thus, the paper recommends some steps that the government may take at this stage and highlights some points for consideration when Taiwan is in a better position to adopt such measures.
author 丁碧蓮
Denise Ding
author_facet 丁碧蓮
Denise Ding
author_sort 丁碧蓮
title 臺灣稅改採行受控外國公司所得稅課稅制度之可行性
title_short 臺灣稅改採行受控外國公司所得稅課稅制度之可行性
title_full 臺灣稅改採行受控外國公司所得稅課稅制度之可行性
title_fullStr 臺灣稅改採行受控外國公司所得稅課稅制度之可行性
title_full_unstemmed 臺灣稅改採行受控外國公司所得稅課稅制度之可行性
title_sort 臺灣稅改採行受控外國公司所得稅課稅制度之可行性
publisher 國立政治大學
url http://thesis.lib.nccu.edu.tw/cgi-bin/cdrfb3/gsweb.cgi?o=dstdcdr&i=sid=%22G0919330081%22.
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