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Tax Treaty Aggressiveness: Who is Undermining Taxing Rights in Africa?

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  • Millán-Narotzky, Lucas
  • García-Bernado, Javier
  • Diakité, Maïmouna
  • Meinzer, Markus

Abstract

Tax avoidance strategies by multinational companies rely heavily on tax treaties. Multinational companies can relocate financial activities across countries to ensure the applicability of the most beneficial tax treaties. This ‘treaty shopping’ can be particularly harmful to African countries, impairing their efforts for domestic resource mobilisation and achieving sustainable development goals. In this paper, we analyse the aggressiveness of tax treaties towards African countries – the extent to which signing tax treaties reduces the taxing rights of African governments. We find that treaties signed with France, Mauritius and the United Arab Emirates reduce withholding tax rates the most, while treaties signed with European countries – and, in particular, the United Kingdom and France – greatly limit other taxing rights, for example, by restricting the scope of permanent establishment definition.

Suggested Citation

  • Millán-Narotzky, Lucas & García-Bernado, Javier & Diakité, Maïmouna & Meinzer, Markus, 2021. "Tax Treaty Aggressiveness: Who is Undermining Taxing Rights in Africa?," Working Papers 16940, Institute of Development Studies, International Centre for Tax and Development.
  • Handle: RePEc:idq:ictduk:16940
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    File URL: https://opendocs.ids.ac.uk/opendocs/handle/20.500.12413/16940
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    References listed on IDEAS

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    1. Hearson, Martin & Carreras, Marco & Custers, Anna, 2021. "Using New Data to Support Tax Treaty Negotiation," Working Papers 16732, Institute of Development Studies, International Centre for Tax and Development.
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    Cited by:

    1. Harouna Kinda & Abrams M.E. Tagem, 2023. "Double taxation treaties and resource revenue mobilization in developing countries: A neural network approach," WIDER Working Paper Series wp-2023-125, World Institute for Development Economic Research (UNU-WIDER).

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