International tax arbitrage via corporate income splitting
Author:
Satish Chand a
| Affiliation: | a The Australian National University, Canberra, Australia |
DOI:
10.1088/1469-7688/2/2/302
Publication Frequency:
8 issues per year
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(English)
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Abstract
If capital for corporate finance was available from a common global pool and at zero transaction cost, then does after-tax arbitrage require harmonization of income tax rates across jurisdictions? This paper shows that the answer is in the negative. When a corporation has the choice of deciding the fraction of income that it distributes as dividends with the remainder held for future capitalization, then such choice brings about arbitrage in after-tax rates of return to investors facing a common pre-tax return but different rates of income taxes. Policy implications are drawn from this result.
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