“…For ‘tax haven’ definitions, the IMF authors rely on a list created by Gravelle (), on the basis of observed phenomena from a US perspective. In a similar line, we consider the alternative list of the six major profit misalignment jurisdictions of the Netherlands, Ireland, Luxembourg, Bermuda, Switzerland and Singapore, identified for US‐headquartered multinationals by Cobham and Janský (). This alternative data‐driven list has its disadvantages (e.g.…”