ATAF Suggested Approach to Drafting Interest Deductibility Legislation

ATAF Suggested Approach to Drafting Interest Deductibility Legislation

ATAF members have reported that the use of third party and related party interest is one of the most prevalent and simple of the profit-shifting techniques used in Africa and poses a significant risk to African tax bases. The fluidity and fungibility of money makes it a relatively simple exercise to adjust the mix of debt and equity in a controlled entity.

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