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The European Commission's proposed Common Consolidated Corporate
Tax Base (CCCTB) is the most ambitious project in the history of
direct taxation within the EU. While retaining the right of Member
States to set their own corporate tax rate, the proposed system
allows for a 'one-stopshop' for filing tax returns and
consolidating prof its and losses across the EU. In this book - the
first to offer guidance to practitioners whose work will be
affected by these new developments - 19 prominent representatives
of the business community, tax consultancy, academic taxation
scholarship and tax administration discuss the proposed system's
rationale, structure and uncertainties, ranging from very technical
aspects, to the wording of the proposal, to political
considerations. These topics include the following: eligibility;
formation of a group; the concept of 'permanent stablishment';
foreign tax credits; 'dual resident' companies; consequences of
entering and leaving; depreciation of fixed assets; repackaged
asset transfers; appeals procedure; disagreements among Member
States; subsidiarity and the 'yellow card procedure'; international
aspects and tax treaties; sharing mechanism and transfer pricing;
and anti-abuse rules.
This book showcases the practical insights of some of Europe's
foremost tax advisers and lawyers on recent case law issuing from
the European Court of Justice. It also provides readers with
informed analysis on how the Court may rule on future controversies
impacting direct taxation.This timely and useful resource will
examine each of the following topics, inter alia: CFC Legislation
and Abuse of Law in the Community; free movement of capital and
non-member countries; consequences for direct taxation; striking a
proper balance between the national fiscal interests and the
community interest; a perpetual struggle; personal income taxation
of non-residents and the increasing impact of the EC Treaty
Freedoms; why the European Court of Justice should interpret
directly applicable Community law as a right to most-favoured
nation treatment and a prohibition of double taxation; fiscal
cohesion, fiscal territoriality, and Preservation of the (Balanced)
Allocation of Taxing Power; what is the difference? limitation of
the Temporal Effects of Judgments of the ECJ; Tax Facilities for
State-induced Costs under the State Aid Rules; and EU Law and rules
of tax procedure.
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