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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.
The ongoing debates on the present state and the future of the
Roman Catholic worship are not confined to specialists, but are
clearly of interest to a wider public, as the responses to the
Sacra Liturgia UK conference, held in London in July 2016, have
shown. This volume contains the proceedings of the conference and
raises the question of how to bring to fruition the insights and
instructions of the Second Vatican Council and its key document on
the liturgy, Sacrosanctum Concilium, in the life of the Church
today. The initial contribution from Robert Cardinal Sarah, Prefect
of the Congregation for Divine Worship and the Sacraments, calls
for a fuller implementation of Sacrosanctum Concilium. Following on
from this other leading figures and liturgical scholars, such as
Joris Geldhof, David Fagerberg and Alcuin Reid, examine Catholic
worship from a variety of perspectives, including historical,
pastoral, social, cultural and artistic themes. Taken together,
these chapters present another crucial step along the route of
authentic liturgical renewal in the contemporary world.
Information Systems Development: Reflections, Challenges and New
Directions, is the collected proceedings of the 20th International
Conference on Information Systems Development held in Edinburgh,
Scotland, August 24 - 26, 2011. It follows in the tradition of
previous conferences in the series in exploring the connections
between industry, research and education. These proceedings
represent ongoing reflections within the academic community on
established information systems topics and emerging concepts,
approaches and ideas. It is hoped that the papers herein contribute
towards disseminating research and improving practice
One of the major objectives of tax treaties has been the avoidance
of international double taxation. This is generally accomplished
through the agreement of each country to limit, in specified
situations set out in double tax treaties, its right to tax income
earned from its territory by residents of another country. The OECD
Model Tax Treaty, other model conventions, and the bilateral
treaties drafted in accordance with these models, allocate the
taxing rights between the state of source and the state of
residence. The source rules for income taxation are determined by
Articles 6 through 21 of the OECD Model Convention. These rules are
the product of a rather long history and it seems difficult to
justify the scope of some in today's world. Courts, tax
administrators, and practitioners are confronted with a growing
number of interpretation and application problems. In a globalized
world with ever-increasing cross-border streams of income such
problems command more and more attention. This book is designed to
analyze the allocation rules of the OECD Model Tax Convention and
its equivalents in bilateral tax treaties. The distinguished
contributors to the work examine the justification for these rules
- as well as their scope - and highlight the most relevant
interpretation and attendant application problems. In addition
they'll suggest how such rules should be modified and examine
possible alternatives.
Third countries are not bound by European law; however, saying that
EU Member States are not bound by European law in their relations
with third countries would be incorrect. The judicial developments
of European tax law based on the application of fundamental
freedoms by the European Court of Justice has turned relations with
third countries into one of the most controversial areas of
European tax law, giving rise to a significant degree of legal
uncertainty. The first waves of direct tax cases decided by the ECJ
on the relations with third countries have not entirely solved the
main critical issues arising in such context, including the ones
involving the external scope of fundamental freedoms. Consequently,
the expert analysis contained in this book will be of significant
interest to many international tax practitioners and academics
throughout the world.
Among the vitally important areas this book addresses...
- The external scope of Article 56 EC Treaty and its impact on the
relations with third countries
- The indirect impact of other fundamental freedoms on the
relations with third countries
- The scope of fundamental freedoms in relations to EEA States
under the EEA Agreement
- The relations with other third countries in the field of direct
taxes (including, among other, EPAs countries)
- The impact of the EU agreements on the direct tax relations
between Switzerland and the EU Member States
- The impact of secondary EC law on the relations with third
countries in the field of direct taxes
- The scope of Article 307 EC Treaty and its application in the
field of direct taxes
- The external treaty making powers of the European Union in the
field ofdirect taxes.
The laws of the Member States of the European Union and the tax
treaties concluded by them - being part of their national laws -
must be consistent with European Community law. Apart from EC
Directives and Regulations, the EC Treaty itself contains rules
directly applicable to matters of international taxation. In this
context the decisions of the European Court of Justice on the
fundamental freedoms laid down in the EC treaty are of primary
importance. If a provision of a tax treaty is in conflict with the
EC Treaty, it is superseded by the Treaty provisions. The EC Treaty
may therefore have the effect of changing the content of tax
treaties, a matter of crucial importance to international tax
planning techniques. This collection of essays examines the effects
of primary European Community law, in particular the fundamental
freedom provisions in the EC Treaty, on tax treaties concluded by
the Member States. Using the method of examination employed by the
European Court of Justice, the contributors to this volume present
a systematic analysis of the effects of the interaction of national
tax law, tax treaty law and the EC Treaty.
Information Systems Development: Business Systems and Services:
Modeling and Development, is the collected proceedings of the 19th
International Conference on Information Systems Development held in
Prague, Czech Republic, August 25 - 27, 2010. It follows in the
tradition of previous conferences in the series in exploring the
connections between industry, research and education. These
proceedings represent ongoing reflections within the academic
community on established information systems topics and emerging
concepts, approaches and ideas. It is hoped that the papers herein
contribute towards disseminating research and improving practice.
International tax practice demands a constantly renewed
understanding of tax treaty provisions and how they are applied.
Practitioners working with Western European taxation must master
the further complexity introduced by the interplay between
Community law and national law, especially as it affects the
administration of tax law in the various countries. This text is a
detailed survey of tax treaty interpretation in the 15 EU states
plus Norway. Presented as 16 national reports by authorities from
each country, the analysis provided is the result of a conference
sponsored by the European Commission and held in Rust, Austria, in
January 2001. Each report gives an organized, in-depth summation of
the discussion as it related to the country in question,
amalgamating the research and commentary brought to the conference
by sixty experts in all. "Tax Treaty Interpretation" builds on the
1993 analysis of Klaus Vogel and Rainer Prokisch for the
International Fiscal Association (IFA), and takes full account of
such developments as the following: court decisions since 1993; the
OECD report on partnerships; changes in administrative practice at
the national level; and recent Community law affecting taxation and
tax practice.
Approaching the problem of homelessness from a broad public
policy perspective, Lang focuses on the American political economy
and how it permits community development patterns based on racism
and self-interest. This interdisciplinary study challenges the
belief that homelessness is entirely due to the Reagan
administration's cutbacks. Instead, it suggests the need for reform
in our housing and employment policies. The book reviews competing
socioeconomic paradigms that can explain why meaningful and
effective programs are difficult to enact. "Homelessness Amid
Affluence" discusses housing, community development patterns,
economic segregation, and problems of the urban underclass, as well
as proposed solutions. The interdisciplinary nature and historical
perspective of this volume make it informative reading for
sociologists, social workers, policymakers, and researchers.
This volume is divided into five sections. The first section
provides a conceptual overview. Section Two deals with the urban
policy context from which a solution to homelessness must emerge.
Section Three covers low-cost housing while Section Four deals with
specific policies and programs developed in response to the needs
of the homeless. A case study based on the author's experience with
the efforts of Camden County, New Jersey is included. The last
section analyzes some new policy approaches and ends with an
assessment of the likely policy outcomes to emerge from this
continuing debate.
This monograph assimilates new research in the field of
low-dimensional metals. It provides a detailed overview of the
current status of research on quasi-one- and two-dimensional
molecular metals, describing normal-state properties, magnetic
field effects, superconductivity, and the phenomena of interacting
p and d electrons. It includes a number of findings likely to
become standard material in future textbooks on solid-state
physics.
The celebration of the liturgy of the Holy Eucharist is one of the
central issues in the Roman Catholic Church today. To mark the
"Year of the Eucharist", the Society of St. Catherine of Siena held
a conference on the Eucharistic liturgy at Oxford in 2005. This
book contains the energetic and fruitful reflection of the scholars
present at the conference. The contributions are academically
demanding yet accessible to a wider audience. The collection does
not seek a solution to the current problems, rather it promotes an
open discussion about the theological, philosophical and historical
issues surrounding the celebration of the liturgy and its future as
well as paying attention to the increasing interest in the
pre-conciliar rites.
Information Systems (IS) as a discipline draws on diverse areas
including, technology, organisational theory, management and social
science. The field is recognized as very broad and encompassing
many themes and areas. However, the development of artefacts, or
information systems development (ISD), in the broadest sense, is a
central concern of the discipline. Significantly, ISD impacts on
the organisational and societal contexts through the use of the
artefacts constructed by the development. Today, that impact also
needs to be evaluated in terms of its effects on the environment.
Sustainable, or "green," IT is a catch-all term used to describe
the development, manufacture, management, use and disposal of ICT
in a way that minimizes damage to the environment. As a result, the
term has many different meanings, depending on the role assumed in
the life span of the ICT artefact. The theme of the proposed work
is to critically examine the whole range of issues around ISD from
the perspective of sustainability. Sustainable IT is an emerging
theme in academic research and industry practice in response to an
individual concern for the environment and the embryonic regulatory
environments being enacted globally to address the environmental
impact of ICT. In this work we intend to bring together in one
volume the diverse research around the development of sustainable
IS."
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.
Information System Development Improving Enterprise
Communication are the collected proceedings of the 22nd
International Conference on Information Systems Development:
Improving Enterprise Communication ISD 2013 Conference, held in
Seville, Spain. It follows in the tradition of previous conferences
in the series in exploring the connections between industry,
research and education.
These proceedings represent ongoing reflections within the
academic community on established information systems topics and
emerging concepts, approaches and ideas. It is hoped that the
papers herein contribute towards disseminating research and
improving practice.
The conference tracks highlighted at the 22nd International
Conference on Information Systems Development (ISD 2013) were:
ApplicationsData and OntologiesEnd UsersEnterprise
EvolutionIndustrial cases in ISDIntelligent Business Process
ManagementModel Driven Engineering in ISDNew TechnologiesProcess
ManagementQuality"
At present, a number of cases regarding the fundamental freedoms in
respect to direct taxation are pending at the European Court of
Justice. This book shall discuss the national background of the
pending cases and a possible infringement of a fundamental freedom
by observing the ECJ's testing scheme on the basis of the request
for a preliminary ruling and - if available - of the opinion of the
advocate general. The pending cases are all presented by highly
recognized experts in the field of European tax law of the country
that made the request for the preliminary ruling. This guarantees
that the discussion of obstacles is embedded in the particular tax
system.
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.
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