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This handbook is a concise guide for all those who aim at obtaining
a basic knowledge of European tax law. Designed for students, it
should also be useful for experienced international tax specialists
with little knowledge of European law, European law specialists who
are reluctant to approach the technicalities of direct taxation and
non-Europeans who deal with Europe for business or academic reasons
and need to understand the foundations of European tax law. This
book should also help academics without a legal background to
approach the technical issues raised by European Union tax law.
This edition contains selected relevant information available as of
30 June 2022. It retains all of the features and tools contained in
the previous editions (including the final charts, which our
readers very much appreciate). In this edition we have also
included a list of relevant documents and a selection of reference
textbooks on European tax law in five languages, which we found of
potential interest to our readers.
There is an immense tax treaty network between European Union
Member States and third countries. These tax treaties are bilateral
conventions, governed by international law. At the same time, these
agreements are part of the internal law of the various Member
States. European Community (EC) law has supremacy over domestic law
and, therefore, over tax treaties as well. Consequently tax
treaties must conform with EC law.This book examines the areas of
tension between EC law and tax treaty law. Since most rules of
primary and secondary law are directly applicable, they can
substantially impact the implementation of tax treaty provisions
and consequently result in serious practical ramifications. As part
of its analysis this work devotes particular attention to the
growing number of decisions of the European Court of Justice
concerning fundamental freedoms and direct taxation. Thus, this
book provides an up-to-date and comprehensive analysis of the
interaction of national tax law, double tax treaties, and the EC
Treaty.
A growing number of cases pending before the European Court of
Justice (ECJ) concern the fundamental freedoms and direct taxation.
This book scrutinises the national background of the most important
of these cases, and examines possible infringements of fundamental
freedoms. The focus of each analysis is on the questions submitted
to the ECJ by the national courts. Moreover, where available, the
opinion of the Advocate General is discussed. The cases are
presented by esteemed national and European tax law experts. This
book goes to the heart of the national tax systems, exposing hidden
obstacles to fundamental freedoms.
This topical book is the first publication that focuses on the
impact of the CCCTB project on relations between the European Union
and third countries. Although the CCCTB system will only be
applicable within the European Union, it will also have
wide-ranging impacts for non-resident companies.The book considers
the impact of the CCCTB from the perspective of non-EU-based
enterprises that are carrying on business in the EU through the
operation of branches or subsidiaries in member states. It
incorporates the perspectives of leading scholars from all over
Europe as well as from third countries such as the United States,
and provides in-depth analysis of the key aspects which would
affect third countries, such as: withholding taxation, taxation of
transparent entities, and transfer of assets to third countries.
Corporate Income Taxation in Europe will provide essential insights
to academics, practitioners and policymakers in the field of
taxation. It will also interest those looking ahead to future tax
reforms in the EU, or considering how a similar model may be
applied elsewhere. Contributors: K. Andersson, K. Becker, Y.
Brauner, J. Englisch, D. Gutmann, C.-A. Helleputte, W. Hellerstein,
C. HJI Panayi, C. Kaeser, M.A. Kane, T. Keijzer, E.C.C.M. Kemmeren,
R. Lyal, G. Maisto, P. Pistone, R. Seer, D.S. Smit, C. Spengel, J.
van de Streek, E. Traversa, D. Weber
The advantages and disadvantages of multilateral tax treaties have
been debated for many years. Although some multilateral tax
treaties have been concluded at regional level, the concept has not
yet gained wide acceptance. Recently it has become clear, however,
that diverging provisions in bilateral tax treaties lead to
undesired consequences. Tax administrations expend considerable
energy combatting tax structures devised by taxpayers and their
advisers, in an attempt to use these differences to their
advantage. This engages the resources of both enterprises and tax
authorities without their efforts being useful from an economic
point of view. This book is the result of a research project
conducted at the Department for Austrian and International Tax Law
at the University of Economics and Business Administration in
Vienna. The project's aim was to produce a draft multilateral tax
treaty modelled on the OECD Model Income Tax Convention, whilst
examining in detail difficulties that arise in connection with the
multilateralization of the OECD Model.
This book provides an analysis of bilateral tax treaties concluded
by thirty-seven jurisdictions from five continents and empirically
ascertains the impact of the UN and OECD Model Tax Conventions on
bilateral tax treaties. It therefore fills a major gap in the
international tax literature, which has so far either studied the
sole Model Tax Conventions or focused on bilateral treaties in the
context of the tax treaty policy of single countries, and sets the
pace for a new methodology in the analysis and interpretation of
tax treaties. A general report outlines the key points of the
analysis, highlights current trends and predicts future
developments of multilateralism and global tax law. This is an
essential resource for academics, tax authorities and international
tax practitioners who find textbooks based on Model Tax Conventions
insufficient.
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