The design of a corporate income tax system and how to protect it for the East African Federation

Open Access
Authors
  • A.L. Titus
Supervisors
Cosupervisors
Award date 30-06-2020
Number of pages 212
Organisations
  • Faculty of Law (FdR) - Amsterdam Center for Tax Law (ACTL)
  • Faculty of Law (FdR)
Abstract
The East African Federation (EA Federation) currently is an ideal of the East African Community (EAC) regional integration project. This study is premised on the basis that the EA Federation does come into existence. Moreover, this research is focused on the international hard law approaches to issues identified in this dissertation.
This dissertation designs the most important features of a corporate income tax system for the EA Federation and proposes mechanisms by which to protect it. This study further designs a tax base inspired by the European Commission’s proposed common consolidated corporate tax base. Corporate tax rules derived from the provisions of the European Union’s Anti-Tax Avoidance Directive (ATAD) are included to protect the tax base. Further protections are provided through the design of a general anti-avoidance rule (GAAR) and a tax treaty policy. The proposed GAAR is constructed through the combination of elements from the existing GAARs in the EAC Partner States and the GAARs in the European Union’s ATAD, and the Income Tax Acts in Canada and South Africa. The proposed tax treaty policy is a derivation of international best practices, focusing on meeting the challenges developing countries face when concluding double taxation agreements.
While this research may be premised on a fictional supranational organization, this study has present-day value in that it proposes how an African regional integration project may offer possible solutions on how to successfully integrate several corporate income tax bases into one coherent tax base, competently supported by mechanisms designed to protect it.
Document type PhD thesis
Language English
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