Tax is a compulsory levy made by public authorities

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WORKING TITLE:

To what extent do companies move abroad in order to avoid corporate tax in the UK( corporation tax avoidance in the UK)

BACKGROUND:

Having worked as a tax man with the Inland Revenue Service in Ghana previously and studying two tax modules on my programme in the university, as well as doing an internship in tax line of service with PWC Ghana in the summer 2009, there is so much interest in taxation and as a result of that decided to do a dissertation on this topic. The study intends to review corporation tax and analyze reasons behind avoidance, by companies moving most operations abroad. It will focus on the gains the companies make and also its effect on the economy.

APPROACH

The research will be done using secondary data, because a lot of information is available, from a wide range of books, articles, newspapers, electronic data base etc.this will enable me obtain useful data. Due to the nature of large secondary data available, it will be advisable to use data relevant to the topic.

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References and bibliography, this will include all the sources of information obtained including those used and not used. Some of which are,

Lymer, A. and Salter, D. (2003) Contemporary issues in taxation research, Aldershot: Ashgate Publishing

Lymer, A. and Oats, L. (2009) Taxation policy and practice, 15th Ed Birmingham: Fiscal Publication.

Saunders, M. et al (2003) Research methods for business, 3rd Ed London: Pretence Hall.

Tirard, Jean-Marc (1990) Corporation taxation in EC countries 1990-91, London: Longman

Content

1.Abstract

2. Acknowledgement

3.Abreviations

Chapter 1 Introduction(900) Background,(100)

Definition of taxation (100)

What is Corporation tax?

Definition of taxation

"And it came to pass in those days ,that there went out a decree from Caesar Augustus, that all the world should be taxed and it was. ( Luke 2 verse 1)"(James &Nobes 2008/09)

Tax is a compulsory levy made by public authorities for which nothing is received directly in return(Lymer &Oats. 2007/08). Taxation has existed since the birth of early civilisation. In the UK taxation has become embedded in our society, that without taxation the country will cease to operate. Taxation is used as a tool by most government to raise revenue to support and pay for its basic functions, in Britain the government depends on taxation as a source of revenue generation, however this is embedded with frequent problems as the tax rules influence the tax payers behaviour.

The purpose of this dissertation therefore is to conduct an in-depth examination of corporation tax avoidance in the UK,

The section sets out the background literature organised around corporate tax avoidance and its implication to the UK economy, the objectives are developed followed by details of data collections and analysis. The issue of corporate tax avoidance is motivated by the recurring concerns expressed by government ,academics, stakeholders and tax regulators.

The findings are presented in sections followed by discussion and conclusion.

What is corporation tax

For corporation tax purposes pertaining to the UK,the word company is defined to mean any corporate entity or unincorporated association, excluding partnerships, local authorities, and association.

The main types of organisation which are liable to corporation tax include clubs and societies, political associations, building societies and nationalised corporations.

In the UK, the organisations that are exempt from corporation tax includes trade unions, registered pension schemes etc.

A company is classified as resident if it is incorporated in a country where its management and control takes place, a company's liability to UK, corporation tax depends upon whether or not it is resident in the UK.(Melville 2010).

A UK resident company is liable for corporation tax on its chargeable profits no matter where in the world those profits arise.(Cooney,2001) in other words it is the measure of profits or earnings on which corporations are taxed, it is also important to understand that differences, across countries in the tax base could lead to significant differences in tax payments on the same fundamental activity. For example fairly generous allowances for depreciation could make one country a more attractive place for investment, whilst a relatively generous, treatment of profits earned abroad could make another country a preferred location.(Bond et al,2000)

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A non resident company is liable for corporation tax on profit and capital gains made by its branch or agency in that country, other sources of gains outside the country are not liable for corporation tax.(Cooney, 2001).A company's chargeable profits include its income and its chargeable gains. The profits of a non-UK resident subsidiary of a UK resident parent company may be subject to overseas tax, but not generally subject to UK, tax unless the subsidiary is treated as controlled foreign company.(Melville 2010). A non -UK resident company is chargeable to UK corporation tax only if it has a permanent establishment situated in the UK .if so the company is taxed on the trading profits of the UK establishment.

The rationale for taxing company profits was considered in the Meade Committee Report, (Meade,1978), which considered the following reasons,

Privileges of incorporation: Incorporated business benefit from limited liability and it is argued that the company must pay for such privileges.

Equity: As a corporation ,businesses have to pay tax even on retained earnings ,then on equity grounds if a company's retained earnings cannot be allocated to shareholders, there should be some means of taxing undistributed company profits

Revenue raising: A corporation tax levied at higher rates than the basic rate of income tax may be a suitable way of raising revenue.(Meade,1978)cited in Nightingale(2002 p30).

Chapter 2 Literature Review -(1200)

2.0. Introduction

2.1.The purpose of taxation

2.2.Components of good tax system

2.3.Using the guiding principles

2.4 Tax Avoidance and tax Evasion

2.0 Introduction

The first stage of this research was to conduct a literature review on corporate tax avoidance. According to Public Agency of Canada (2009), "a literature review is a basis of understanding theory and concepts; simply by research of existing articles and other publications". This was a particularly important process, because it contributes to ideas being generated, in terms of brainstorming the question and, eventually, constructing the main objectives of the dissertation.

The most appropriate literature would be that containing a discussion of the criteria that outline tax avoidance. nevertheless to identify what constitutes as good taxation, one must first assume what the actual purpose of taxation is. From, this one can begin to think about how best a tax system should function to satisfy its main objectives, and what conditions need to be met to make it successful. So that artificial loopholes would not be created to avoid it. With these points in mind ,guiding principles evolved, thus providing a framework against which different tax policies and changes to these policies could be measured.

Therefore one can interpret whether tax avoidance which would cover all forms of reducing one's tax liability could be used and a difference made between acceptable and unacceptable avoidance. To address this issue of tax avoidance, the solution will not be straightforward, as unacceptable tax avoidance conflict with tax evasion, and as a result there is much debate on the meaning that should be placed on each principle.

In order to obtain the essential background information, in a bid to understand taxation and critically judge the way it has evolved since its beginning ,a lot of information sources were used. these included books ,articles ,websites, journals, press releases, magazines and government publications. Using these secondary research sources it was possible to determine what the key guiding principles entailed.

2.1The purpose of taxation

Most government takes on a caring, role by providing "merit "goods e.g. health and education. This goods unlike public goods can be provided privately but left completely to market forces, merit goods would be under consumed and so there is some merit in the state providing such goods as everyone benefits from living in a healthy and educated society.(Nightingale) Taxation is very important in this present world (Lymer & Oats,2007/08) the main purpose of taxation is to generate revenue for government expenditure..

"Taxation is a means of ensuring the redistribution of income and wealth in order to reduce poverty and promote social welfare" (Nightingale).It has been said that what the government gives it must first take away, the financial wealth available to society are inadequate, and so an increase in government expenditure normally means a reduction in private spending. It is a means of transferring revenue from private sector to the public sector.(James &Nobes2008/09).

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Taxation is therefore used by government to raise resources and revenue to finance it functions. These functions being to regulate and effectively and resourcefully manage the country in order to provide public goods and develop the economy(James)

A significant way tax is used by government is to manage the country and develop society, through the use of tax reductions. For example the government may offer reduced rates of tax to businesses if they locate in an undeveloped part .of the country. (James &Nobes,2008/09).

This encourages the growth of the economy by acting as an incentive for beneficial activities that might not otherwise have occurred (Lymer&Oats2007/08).

Consequently the taxation system is a powerful method of influencing the level of activity, should the government wish to use it,(James &Nobes2008/09)

Finally, taxation can be used by government to raise money to fund the" provision of products and services for common consumption"(Lymer & Oats2007/08).

Therefore whilst the government has other means of generating revenue and resources, taxation is generally the main source of government revenue(James &Nobes,2008/09) "without taxation the country would cease to operate effectively, so, whilst few people would say they like to pay taxes, its presence provides the foundation for an orderly, well managed country"(Lymer and Oates2007/08)

2.2Components of Good Tax System

"Nobody likes paying taxes, yet they are unavoidable for the provision of social welfare. Despite the need for taxes in modern society the tax system adopted must be acceptable to the general public if dissention is to be avoided,"(Nightingale,2001/02,p8). an example is the unrest caused by the introduction of community charge in the UK, in 1990.in his book the wealth of nations (1776).Adam Smith proposed that every good tax should display the following characteristics.(Nightingale,2001/02)

Appropriate Government Revenues - The principle of appropriate government revenues states that "a tax system should enable the government to determine how much tax revenue will likely be collected and when. A tax system should have some level of

predictability and dependability". Predictability and dependability are significant matters to the government as they need reliable figures upon which to base their budgets so they can meet their obligations accordingly.

Certainty - The theory of certainty states that taxes should not be arbitrary the taxpayer should know his or her tax liability and when and where to pay it" (Lymer & Oats, 2007/8). The taxpayer should not have difficulty measuring the tax base or determining the transaction's applicable tax rate or tax consequences" (Nellen, 2002, p3). The trouble with this is, in practice, the tax system can be complicated so taxpayers often have difficulty making sense of the rules, particularly if they undergo regular changes (Lymer & Oats, 2007/08). Regularly changing tax increase uncertainty and reduce stability (Holtzman, 2007). Also, if the computation of a tax is complicated then the taxpayer will lose trust in the reliability of the calculation,(Nightingale 2001/ 02). Consequently, where certainty exists, taxpayers are more likely to comply and administrative costs are likely to be lower (Lymer & Oats, 2006/07)

Simplicity - The theory of simplicity states that "the tax law should be simple, so that taxpayers can understand the rules and comply with them correctly and cost efficiently. Simplicity in a tax system reduces errors and increases respect for the system, thereby improving compliance" (Nellen, 2002, p3). It has been said that "simple tax systems impose less of a compliance burden on the taxpayer than more complex systems" (Holtzman, 2007, p6) so taxpayers would definitely be in favour of simplicity. In addition, taxpayers would be able to better "understand the tax consequences of their actual and planned transactions", thus enabling them to make more informed decisions (Nellen). Unfortunately, what with all the chances going on the tax system, taxpayers hardly have a chance to get used to the tax system before it changes again (Meade, 1978).

Equity and Fairness - There are two types of equity - horizontal equity and vertical equity. Horizontal equity is concerned with "treating equal people in equal circumstances in an equal way". (James & Nobes, 2008/09 p78). Vertical equity states that taxpayers with a greater ability to pay should pay more tax (Nellen, 2002, p2). However, it is difficult to decide which taxpayers are equal to each other, and how much more tax higher earner should actually pay (James & Nobes, 2008/09).

Also, a moderate tax system should be designed in such a way as to be a mechanism for vertical redistribution between high and lower earners so as to achieve more equity and fairness in the distribution of wealth amongst society (Meade, 1978).

Convenience - The theory of convenience states that "a tax should be due at a time or in manner most likely to be convenient for the taxpayer as this will help to ensure compliance" (Nellen, 2002, p2). It also states "the appropriate payment mechanism depends on the amount of the liability and ease or difficulty of collection" ( Nellen, 2002, p2). All issues associated with the convenience of payment will differ according to type of tax in question.

Economy in collection - The principle of economy in collection states "that the costs to collect a tax should be kept to a minimum for both the government and taxpayers" (Nightingale2001/02 ). From the perspective of the government it is important that the administrative costs be kept to a minimum so that the revenue generated from a tax can actually be put towards funding their basic functions.

From the perspective of the taxpayer it is essential that the compliance costs be kept to the minimum. In some cases the compliance costs can be very high, In the UK, "the current tax system has grown increasingly complex over time, and many believe that taxpayer

compliance burden had grown accordingly" (Holtzman, 2007). The taxpayer would prefer actions be taken to go some way towards remedying this problem.

Neutrality - The principle of neutrality states that "the tax law's effect on a taxpayer's decision as to whether or how to carry out a particular transaction be kept to a minimum...Taxpayers should not be unduly encouraged or discouraged from engaging in certain activities due to the tax law" (Nellen, 2002, p3).

"Neutrality does not imply that the tax system has no effect on behaviour. No tax system which collects revenue can have that property" (Kay & King, 1990, p19). In fact, even the UK government isn't fully committed to fiscal neutrality - sometimes the government uses "non-fiscally neutral taxes in a targeted way where they consider the knock-on impacts to be desirable (and manageable)" (Lymer &Oats, 2007/08, p29). Therefore it is fairer to say that neutrality is more focussed on "avoiding high marginal rates of tax and imposing very different rates of tax on essentially similar activities" (Kay & King, 1999, p19).Consequently, the reason neutrality within tax system is necessary is "to minimise the economic inefficiency which results from taxation" (Kay & King, 1990, p19)

Efficiency and Economic growth - The principle of efficiency and economic growth states that " a tax system should not impede or reduce the economy's productive capacity, but be aligned with the taxing jurisdiction's economic goals" (Nellen, 2002, p3). Therefore, for a tax to be economically efficiency, it should not "distort the economic decisions which are made by individuals" (Lymer & Oats, 2007/08, p50). For this, low marginal rates are required so as not to deter people from working to their full potential simply to avoid moving into a higher tax bracket (Meade 1978). If an economy is efficient it should have a positive impact on their economic growth.

In addition, "the system should not favour one industry or type of investment at the expense of others" (Nellen, 2002, p3).

Transparency and visibility - The principle of transparency and visibility states that "taxpayers should know that taxes exists and how and when it is imposed on them and others" (Nellen, 2002, p3). As a result, taxpayers should have more trust in the system and "more confidence that they can accurately predict their future tax liabilities" (Holtzman, 2007, p1). Taxpayers should also find it easier to reliably recognize "the true cost of transactions" they make (Nellen, 2002, p3).

Minimum tax gap - The principle of the minimum tax gap states that "a tax should be structured to minimise non - compliance. The tax gap is that amount of tax owed less the amount collected" (Nellen, 2002, p3). The purpose of such a principle is that it is important that the amount of revenue a government expects to generate is, in reality, actually generated. The reason being it is highly likely that the revenue will have already been diligently allocated elsewhere - primarily to satisfy the government's basic functions. Therefore, to help "minimise the tax gap, procedural rules are needed to attain compliance" (Nellen, 2002, p3). Although, it is imperative "a balance exists between the desired level of compliance and the tax system's costs of enforcement and level of intrusiveness" (Nellen, 2002, p3).

Flexibility - The principle of flexibility states that "tax system should be established in such a way as to be able to cope with changing economic circumstance over time without requiring substantive changes" (Lymer & Oats, 2006/07, p43). This involves a tax being capable of such things as generating higher levels of revenue when wages increase, yet collecting lower levels when wages diminish. This responsive ability aids the government in their pursuit to "reduce the fluctuations in economic activities caused by the economic cycle which often seen as good for an economy in the longer term" (Lymer & Oats 2006/07, p51). Therefore, "a flexible tax, designed properly, can have a stabilising effect on the economy to assist with this goal" (Lymer & Oats, 2006/07, p51).

2.3Using the guiding principles

The canons of taxations, forward by Adam Smith in 1776, have been subject of much discussion. Whilst many academics agree with them, some believed that further guiding principles needed to be added. Therefore, from the initial four canons of taxations, the AICPA devised a framework of ten guiding principles. Then a final principle - flexibility - acknowledged by many other writers was added to this list, thus providing a through and detailed illustration of what a good tax system should entail. Therefore, the principles can be used a s a guideline to design new tax elements or "to analyze proposals and to modify them, so that any changes will strengthen the tax system, rather than weaken it" (Nellen, 2002, p10).

However, whilst these eleven principles are very useful, with so many guidelines to adhere to, it is inevitable some conflict amongst them will arise "realistically not all principles can be achieved to the same degree" (Nellen, 2002, p10). Therefore, trade-offs have to be made to achieve an adequate balance between them. After all, "there is no widely agreed upon optimal tax system. Tax system design is matter of judgement" (Holtzman, 2007, p4)

In addition, the principles are not hierarchical and people tend to "disagree about the relative importance of the criteria" (Holtzman, 2007, p4). Consequently, since there is no way of ranking the principles, conflicts exist between them, much debate exists about the optimum tax system.

Overall, this poses "various challenges to incorporating the principles of good tax policy into current tax system" but with the help of careful consideration and diligent planning, some of the adverse effects can be minimised, if not eliminated (Nellen, 2002, p10).

2.4 Tax Avoidance and Tax Evasion

Tax avoidance is the legal planning of a corporations tax dealings in order to minimise the corporations tax liability,(Nightingale2001/02).Tax evasion is the illegal planning of a corporations affairs so as to reduce its tax liability, in other words, tax avoidance is the manipulation of a company's tax affairs within the law in order to decrease their tax liability.(James &Nobes2008/09).alternatively tax evasion, which is the engagement of a company in a legal activity, from which tax is properly due but from which, it is not paid, because the income in question is not declared,(Kay&King,1990), this kind of evasion activity is referred to mostly as black economy.

According to Kay &King,(1990), company's which engage in the black economy are illegally evading tax, those, company's which minimises their tax liability, legally are avoiding it. Like tax evasion, tax avoidance has come under serious scrutiny in the UK.It must be emphasised here that successful tax minimization is neither a sufficient nor a necessary case for tax avoidance.(int. Tax avoidance and evasion,1987),in between evasion and avoidance, to describe a company which uses tax planning within the law to minimise its tax liability or moving some of its operations abroad to a low tax region, in order to avoid tax, is however to strain the meaning of the language. which by the definition, is unacceptable.

Chapter 3 Research Methodology (1000)

3.0 Methodology

"People undertake research in order to find things out in a systematic way, thereby increasing their knowledge" (Jankowica, 1995) cited in Yan (2003).

3.1 Research design

According to Saunders et al., (2007) research philosophy is divided into three which are "epistemology, ontology and axiology". Each of the philosophy

contains the main differences which will give the way of thinking about

research process. It is very important to decide the research approach before designing a research project which could be deductive, inductive or combine deduction

and induction within the same piece of research.

The research methodology for this study is based on inductive approach,

therefore, in order to gauge the degree to which tax avoidance, meets the

criteria associated with good tax policies, an inductive research approach was

decided upon. An inductive research approach "involves the exploration of

data in the pursuit of developing theories from it to subsequently relate to the

littérature" (Saunders et al, 2007, p57).

The reason for using an inductive approach is that, through the study of what has been written regarding tax avoidance, one can discuss corporation tax avoidance in a broader perspective, as the relationship between the inherently global activities of

corporate firms and the corporate tax policies of government. As a result, taking the data and discussing tax avoidance, one can relate this to existing literature on the tax system in the UK, should anybody and from that, develop an informed theoretical viewpoint.' (Saunders et al, 2007,).

3.2 Data collection Method

This research study was mainly carried out by using secondary data because it contains useful source of information, to answer the research questions. The secondary data will involve "re-analysing data that has already been collected" and that could be quantitative and qualitative data used in the research for descriptive and explanatory (Saunders et al., 2000) cited in Vincent (2003). Secondary data includes documentary, multiple source and survey data (Saunders et al., 2007).

To support the research, textbooks and the computing and library facilities at oxford brooks were used widely. The electronic library catalogue provided by the university was used to access particular resources. The databases used to obtain the documentary secondary data were EBSCO (Business Source Complete),and Emerald

EBSCO is an Electronic Journal Service, which is contains millions of articles from different publishers among thousands of e-journals. In the EBSCO, Business Source Complete, provides full text journal for business studies which include accounting journal such as The Accounting Review, Journal of Accounting Research, and Journal of international Accounting, and Taxation. The Emerald database is one of the leading publishers of business and management research was used to access data in this study which contain over 190 journals (Thisaveerasingam, 2008).

It is very important to evaluate the suitable secondary data in order to answer the research questions. The Emerald, BSC includes ranking of journals and contains more active peer-reviewed business related journals which enhances the reliability and validity of the journals.

3.4 Advantages and disadvantages of secondary data

Advantages Disadvantages

Fewer resource requirements: save the time and money, analyse far large data from collection of government survey.

Access may be difficult or costly: data collection for commercial reason may be difficult and costly

Unobtrusive: more likely to higher-quality data

Aggregations and definitions may be unsuitable: purpose may result in other

Longitudinal studies may be feasible: creative own work by using existing multiple-source data

May be collected for purpose that does not match the need: data differs from research question and objective

Can provide comparative and contextual data: useful to compare data

No real control over data quality: Must evaluate data properly

Can result in unforeseen discoveries: example Serendipitous discovery

Initial purpose may affect how data are presented: aware of the purpose of data

Source: (Saunders et al, 2007).

3.5 Limitations of the research

The secondary data were used widely in this research study. There were huge amount of articles related to these studies that had been published, but, the articles show conflicting results on corporation tax avoidance. As a result it was difficult making the right decisions on drawing a conclusion.

In addition, primary data could not be used in this research. Perhaps primary data from interviewing a few Governmental Institution,(HRMC) Corporate Firms and Professional Accounting Institutions such as tax inspectors, managers and

accountants, could give more information relating to corporation tax avoidance. According to Fielding and Fielding as cited by Canning and Gwilliam (1999 p.407) "such a combination of methodologies increases researcher self-confidence in the findings and allow them to be better imparted to the audience with lessened source to the affirmation of advantaged in sight". In addition, according to Saunders et al., (2007), the combine "deduction and induction" within the same piece of research will be more valuable and often advantageous to do.

Moreover, the time frame available for this research would not permit, for further research in using primary data. In fact, it could have been more valuable to get information from tax inspectors, managers and accountants. But the problems could arise in uncertainty to getting reply from them on time and also due to the sensitive nature of the topic, most of the people involved might not be willing to provide any information.

3.6 Summary

This chapter has provided details about how the study has been carried out, the basis for the study upon which instruments were used for the data collection method. Secondary data was the most appropriate research method for this work. Explanation for the use of documentary secondary data was given in section 3.3 along 3.4 which explained the advantages and disadvantages of secondary data. The findings regarding the debate of corporation tax avoidance and the current views from the comparative study will be summarised and presented to enable conclusions and recommendations be made.

Chapter 4 (5000) Discussion

How have 'UK' companies been successful in avoiding corporation tax?

"Section 8 of the ICTA 1988 provides that UK resident companies are chargeable to corporation tax, on their worldwide income and gains, section 66 of the FA 1988 widened the definition as follows:

a.UK or foreign companies that are incorporated in the UK are UK resident for tax purposes; and

b.foreign incorporated companies are treated as resident in the country where the central management and control exists"(Nightingale,2001/02)

A UK resident company is liable for corporation tax on its chargeable profits no matter where in the world those profits arise.(Cooney,2001).

The decisions of governments regarding corporation tax, affect the decisions of corporate firms regarding where to locate their economic activity and where to book profit.(Clausing,2009)

Corporation tax is designed under rules set by parliament each year, in the Finance Act, the Finance Act may amend the existing rules, it also sets the rate of tax payable.becuase of the annual review of the rules ,circumstances may change year by year, which makes comparability difficult and forecasting uncertain.(Elliot&Elliot,2008).A few years ago not much attention was paid to how big corporations arranged their tax affairs. There appears to be a common rule now, that taxpayers do not like paying tax, although the fact that they may well understand the premise behind the collection of taxes.(Clausing,2009).

The evidence of systematic tax avoidance by UK-based companies strikes a particular ugly note in these strained times(The Guardian,03 Feb 2009). Each additional pound paid in taxation by a corporation reduces the income available for retention for funding future growth.

Tax avoidance is the legal planning of a company's tax dealings in order to minimise the company's tax liability,(Nightingale,2001/02).Tax evasion is the illegal planning of the company's affairs so as to reduce the company's tax liability, avoidance is the manipulation of the company's affairs within the law in order to decrease its tax liability.(James &Nobes).In other words tax evasion is the engagement of the company in a legal activity, from which tax is properly due but from which it is not paid, because the income in question is not declared.(Kay&King,1990) this kind of evasion activity is referred to mostly as black economy. According to Kay &King,(1990), corporations which, engage in the black economy are illegally evading tax, corporations minimises their tax liability by legally avoiding it.(appendices1, the black economy includes the moonlighting plumber ,who expects to be paid in cash, the waiter who fails to declare his tip the barmaid who is paid from the till at the end of the evening)

Tax avoidance which covers all forms of reducing a company's tax liability, could be used and a characteristic made between acceptable and unacceptable avoidance.(int tax avoidance & evasion) the scope of what a company considers as tax avoidance may be different from country to country. in principle, the UK tax law permits a tax payer to use the letter of the law to their best advantage, even though there are some legal activities which are so artificial that they might be seen as evasion. .(James &Nobes2008/09)

Tax planning is arranging a firms, financial transactions to their best advantage to be able to gain from the often anticipated effects of tax rules, in order to make best use of the company's after tax returns.(James &Nobes2008/09),

The use of such requirements as proposed by the legislators, is not criticised by anyone and might be termed 'tax planning' the problem area lies between the appropriate use of such tax planning ,and illegal activities. this grey area could best be called tax avoidance.(Elliot&Elliot,2008).the problem lies in distinguishing clearly between legal avoidance and illegal evasion. it can be difficult for accountants to walk the careful line between helping clients in tax avoidance and colluding with them against the inland revenue.(Elliot&Elliot,2008)

Most corporate firms have both real and, financial responses, the taxation of corporate income, real responses to international tax incentives include locating more of its economic activity to low tax countries, financial responses to corporation tax include efforts to shift income to more lightly taxed locations, alter the transfer prices assigned to international trade with affiliates and alter the arrangement of the affiliate finance, or change the location of royalties or intangible,( Clausing,2009). It is therefore possible to minimise or do away with a company's tax liability by entirely satisfactory tax planning, by choosing among tax reliefs and incentives the most beneficial route consistent with usual business transactions.(int tax avoidance & evasion).Like the black economy tax avoidance has come under serious scrutiny in the UK.

A critical separation of these questions between the global performance of company's and corporation tax policies of most governments, this relationship is multifaceted, corporate firm decisions also impact governments, in affecting the amount of revenue that they receive and ultimately the types of tax policies that they choose.

.

The existence of different tax rates in different countries is likely to create opportunities for minimising tax.(Bond et al ,2000)

4.1 company response (arguments in support of companies adopting this type of tax avoidance)

4.2 government response

The UK Government is losing £25bn a year through tax avoidance, a new report claims. That is £ 13bn not paid by the wealthy, and a further,£12bn dodged by corporations.( accountancyniagazine.com March 2008)

There is substantial budget deficit caused by loss of tax revenue ,through large scale avoidance, there will consequently be severe constraints on future public spending and burdens on UK taxpayers. The avoidance by corporations is however much greater and more difficult to identify. The simple point is that companies should be paying 28% of their UK profits in tax, while the evidence suggests that many high profile British firms pay much less.(The Guardian,2009)

The UK is one of the most attractive places to do business and continues to have the lowest corporation tax rate of the major G7 economies alongside internationally competitive small company's rate of 21 per cent.(THE INDEPENDENT.12th Feb.2010). companies are of legal entities, any corporate tax is ultimately passed on somewhere else in reduced dividend or wages or in higher prices. Corporate profits may not be an ideal tax base, but there is some basic justice in the proposition that companies should pay the government of their host country for the infrastructure and other tax -financed services they receive;education,health transport system and policing.(The Guardian2009)

Governments are concerned with threats to their corporate tax revenue ,largely because reductions in the amount of revenue raised from that source might require increases in other forms of taxation or borrowing or reduction in public spending .there are two main channels through which revenue can be threatened, the actions of government that compete with one another to offer the lowest tax rate to attract and retain footloose, investment and the actions of companies using methods of tax planning to exploit opportunities to minimise their tax payments.(Bond et al,2000)

4.3 IASB-Financial reporting

4.4 Revenue generation for infrastructure, social and fiscal policy

4.5 Political factors, elections to win vote

4.6 Financial crises company's can't meet tax obligation

Chapter 5 Conclusion (1900)

6.1 What are the specific problems

There is a lot of evidence from economic studies ,however that companies behave in ways that are consistent with tax-minimising activity, for example, some studies have found that foreign subsidiaries of multinational firms are more likely to use debt finance when based in high-tax countries than when based in low-tax countries(Hubbard,1990) cited in (Bond,2000). There is also some indirect evidence that tax motivated transfer pricing occurs through studies, that have found that companies pre- tax profits tend to be inversely related to the tax rate (ie the higher the tax rate ,the lower the pre-tax profits reported,(Grubert &Mutti 1991) cited in (Bond 1990)

6.2 Based on the evidence presented above ,to what extent can a policy meet the current taxation problem

The government should introduce rules that are easy to understand and implement for companies in addition to being more difficult to avoid. The double

effect could benefit the UK more than a mass of new rules.( hm-treasury.gov.uk)

Tax simplification would help, there could be lower headline rates of corporation tax in return for eliminating the complex network of tax allowances which companies currently enjoy. It has been estimated that simplification alone will cut the headline rate by 5%. Beyond that there is a strong case for a more aggressive approach to tax avoidance, the systematic and widespread avoidance of stamp duty land tax by corporate vehicles can be stopped quickly .more broadly the idea of a General Anti Avoidance Rule is that tax is applied wherever there is an intention to avoid it, even if the loophole hasn't specifically been identified in advance by HMRC.

There is only so much government can do, in isolation, Tax arbitrage involves playing off one state against another,. Government can limit that game by co-operating ,the British government's dogmatic opposition to any EU tax harmonisation has inhibited sensible, practical initiatives like agreement on common EU tax base (not harmonisation of rates but agreement to treat depreciation and other accounting conventions in a similar way. Britain has formed a bizarre alliance with Ireland and the Baltic states to block co-operation.(The Guardian,03 Feb.2009)

6.3 What are the implication of government policies on taxation and the negative effects of C.T avoidance.