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The book is the result of a joint research project on the tax treaties concluded between the People's Republic of China and European countries. Each chapter was jointly prepared by European and Chinese experts. A particular focus of the work is an analysis of the extent to which Chinese tax treaties follow the OECD Model Tax Convention on Income and Capital, the UN Income and Capital Model Convention or an emerging "Chinese Model"; and the rationale behind the deviations. The book also considers differences in Chinese tax treaty policy between EU and Non-EU member states as well as relevant policy changes over time. Among the topics covered are the following:;Treaty entitlement (Art 1 and Art 4 OECD Model);Business Profits (Art 6, 7, 8, 9 and 14 OECD Model);Passive Income (Dividends, Interest, Royalties: Art 10, 11 and 12 OECD Model);Capital Gains (Art 13 OECD Model);Employment Income (Art 15 and 16, 18, 19 and 20 OECD Model);Artistes and Sportsmen (Art 17 OECD Model);Methods to Avoid Double Taxation (Art 23);Non-Discrimination (Art 24 OECD Model Convention);Mutual Agreements, Exchange of Information, Collection of Taxes (Art 25, 26 and 27 OECD Model)
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