摘要:Time and again we read and hear
that German companies use their
international structure to minimise
the tax burden in Germany and
shift their taxable income abroad.
A popular method of doing this,
according to reports, is for example
to charge low billing prices for
intra-group deliveries to subsidiaries
located abroad. ¡°Finanzplatz¡± asked
Max Dietrich Kley this bottom line
question. He is chairman or member
of the supervisory boards of various
DAX companies and President
of Deutsches Aktieninstitut (DAI).