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September 12, 2013
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Analyst:
In the current debate and the numerous initiatives surrounding the improvement of tax collection and cooperation on cross-border (investment) income it is vital to differentiate between two phenomena: one is the fight against (illegal) tax evasion (mainly on investment income) and the other is the legal, (often) so-called 'aggressive' tax planning via profit shifting. Efforts to establish the automatic exchange of information for tax purposes as the European and/or international standard are relatively advanced. 'Aggressive' tax planning, which enables the de facto tax exemption of profits, cannot be addressed by extending the scope of the exchange of information alone, however. [more]