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158 results on '"Double taxation"'

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1. A Journey Through European and International Taxation : Liber Amicorum in Honour of Peter Essers

2. The Resolution of International Tax Disputes : From the Established Mechanisms Towards an Institutionalised International Instrument

3. Double Non-taxation and the Use of Hybrid Entities

4. International Tax Primer

5. A Multilateral Convention for Tax : From Theory to Implementation

6. Double Non-taxation and the Use of Hybrid Entities : An Alternative Approach in the New Era of BEPS

7. The International Tax Law Concept of Dividend

8. Hybrid Financial Instruments in International Tax Law

9. Cross-Border Taxation of Permanent Establishments : An International Comparison

10. International Taxation of Manufacturing and Distribution

11. International Tax Law

12. Hybrid Mismatches Under the ATAD I and II.

13. IN PARLIAMENT.

14. International Double Taxation in the European Union: Comparative Guidelines from Switzerland and the United States.

15. The Dual System of OECD Model Tax Conventions from the Evolutionary Perspective.

16. The New Tie-Breaker-Rule for Companies According BEPS Action Point 6: A (Too) Radical Change?

17. The Meaning and Scope of the Ancillary Principle Under Model Tax Conventions.

18. Double Taxation Conventions in the Case Law of the CJEU.

19. International Cooperation to Avoid Double Taxation in the Field of VAT: Does the Court of Justice Produce a Revolution?

20. International Double Taxation Under VAT: Causes and Possible Solutions.

21. Italian Tax Authorities Action Against Fictitious Corporate Tax Residence.

22. Perspectives of the Concept of Result Regarding Assessment of Municipal Service Tax (ISS) on Exportation of Services: in Brasil.

23. A Brave New Post-BEPS World: New Double Tax Treaty Between Germany and Australia Implements BEPS Measures.

24. A Multidimensional Analysis of the Concept of ‘Place of Effective Management’ in India: A Panacea to the Double Taxation Conundrum?

25. Double Taxation of Inheritances: Does the Ineffectiveness of EU Law Lead to an Effective EC Recommendation?

26. International Double (Non-)taxation: Comparative Guidance from European Legal Principles.

27. 'The Influence of the Principle of Union Loyalty in Tax Matters'.

28. Ability to Pay in European Community Law.

29. The New EU VAT Rules on the Place of Supply of B2C E-Services.

30. VAT on Private Use of Company Cars in Cross- Border Situations: Double or Non-taxation?

31. Inheritance Taxes and European Union Law: A Case Law to Be Inherited?

32. An Unstoppable Force Rather Than an Illegitimate Farce: Exploring the Role of Offshore Financial Centres Amid Renewed Criticism.

33. The Avoidance of Double Non-taxation in Double Tax Treaty Law: A Critical Analysis of the Subject-To-Tax Clause Recommended by the European Commission.

34. The Need to Prevent Abusive Practices and Fraud as a Composite Justification.

35. Tax Recovery Assistance in the EU: Analysis of Directive 2010/24/EU.

36. Ability to Pay in European Community Law.

38. Personal Genuine Links under Domestic Inheritance Tax Rules in the Light of International and European Standards.

39. The Relation of Article 9 Paragraph 1 German Double Taxation Treaties to Domestic Tax Law and the Consequences for Current Value Depreciation under Section 1 Paragraph 1: Foreign Tax Act.

40. Prevention of Double Non-taxation: An Analysis of Cross-Border Financing from a German Perspective.

41. The Agency Permanent Establishment in BEPS Action 7: Treaty Abuse or Business Abuse?

42. BEPS Action 6: Tax Treaty Abuse.

43. The 3D I Case: Useful Clarification from the Court on the Boundaries of the EU Merger Directive.

44. The New Dutch 'Base Exemption Regime' and the Spirit of the Internal Market.

45. Recovery of Income Taxes: ECJ Tends to Allow Member States more Leeway.

46. Double Taxation of Inheritances and the Recommendations of the European Commission.

47. Double Tax Conventions on Income and Capital and the EU: Past, Present and Future.

48. The Influence of EU Law on Inheritance Taxation: Is the Intensification of Negative Integration Enough to Eliminate Obstacles Preventing EU Citizens from Crossing Borders within the Single Market?

49. International Initiatives For Reconciling The Sovereign Right To Tax With Free Trade In Services.

50. Plea for a Multilateral Approach in the Judgments of the European Court of Justice.

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