Skip to main content Accessibility help
×
Hostname: page-component-78c5997874-ndw9j Total loading time: 0 Render date: 2024-11-09T13:56:50.051Z Has data issue: false hasContentIssue false

10 - VAT Evasion and Avoidance

Published online by Cambridge University Press:  05 February 2015

Alan Schenk
Affiliation:
Wayne State University School of Law
Victor Thuronyi
Affiliation:
Duke University School of Law
Wei Cui
Affiliation:
University of British Columbia, Vancouver
Get access

Summary

Introduction

As with any tax, the VAT presents opportunities for tax avoidance and evasion. While some specific areas where avoidance and evasion occur have been discussed throughout this book, this chapter focuses on evasion and avoidance more generally. We use the standard terminology, with tax evasion meaning illegal behavior (usually involving fraud or concealment of facts from the tax administration) and tax avoidance meaning behavior that follows the letter but not necessarily the spirit of the law.

Avoidance

VAT avoidance transactions can take a number of forms. For example, a taxpayer may attempt to split a supply into several parts, some of which are exempt or zero-rated. A taxpayer carrying out both exempt and taxable supplies can carry out transactions aimed at manipulating the allocation of inputs to taxable supplies. If certain favorable treatment (e.g., the registration requirement or, as in the Ch’elle case discussed later, the requirement to use the accrual method) is based on a threshold amount of supplies, a taxpayer might fragment its business, so that each part of the business falls below the threshold.

To counter tax avoidance, the tax authority must of course first identify the tax avoidance transactions that it considers questionable. Although this takes some care, it is generally easier than uncovering tax evasion, because by dei nition tax avoidance does not involve the misstatement of facts or their willful concealment from the authorities. If that happens, then one enters the realm of tax evasion.

Type
Chapter
Information
Value Added Tax
A Comparative Approach
, pp. 311 - 346
Publisher: Cambridge University Press
Print publication year: 2015

Access options

Get access to the full version of this content by using one of the access options below. (Log in options will check for institutional or personal access. Content may require purchase if you do not have access.)

Save book to Kindle

To save this book to your Kindle, first ensure [email protected] is added to your Approved Personal Document E-mail List under your Personal Document Settings on the Manage Your Content and Devices page of your Amazon account. Then enter the ‘name’ part of your Kindle email address below. Find out more about saving to your Kindle.

Note you can select to save to either the @free.kindle.com or @kindle.com variations. ‘@free.kindle.com’ emails are free but can only be saved to your device when it is connected to wi-fi. ‘@kindle.com’ emails can be delivered even when you are not connected to wi-fi, but note that service fees apply.

Find out more about the Kindle Personal Document Service.

Available formats
×

Save book to Dropbox

To save content items to your account, please confirm that you agree to abide by our usage policies. If this is the first time you use this feature, you will be asked to authorise Cambridge Core to connect with your account. Find out more about saving content to Dropbox.

Available formats
×

Save book to Google Drive

To save content items to your account, please confirm that you agree to abide by our usage policies. If this is the first time you use this feature, you will be asked to authorise Cambridge Core to connect with your account. Find out more about saving content to Google Drive.

Available formats
×