In this article, the author examines the question of whether tax avoidance as considered by the OECD in its Base Erosion and Profit Shifting Action Plan equates to tax avoidance as defined under national and/or EU law.
In this article, the author examines the question of whether tax avoidance as considered by the OECD in its Base Erosion and Profit Shifting Action Plan equates to tax avoidance as defined under national and/or EU law.