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Taxation of Derivatives and Cryptoassets
  • Language: en
  • Pages: 676

Taxation of Derivatives and Cryptoassets

  • Categories: Law

Derivatives stand at the forefront of financial innovation, continually evolving to accommodate new asset classes and risk categories. In the past decade, the growing popularity of cryptoassets and ESG investments has sparked the development of a variety of innovative investment strategies and risk management tools, including crypto and ESG derivatives and related structured products. This new edition has similarly evolved. Using illustrative examples, it provides a comprehensive analysis of the key tax issues associated with derivatives and cryptoassets in domestic and cross-border transactions and presents approaches that tax legislators could adopt to solve them. The new edition also comm...

The Improper Use of Tax Treaties:With Particular Reference to the Netherlands and the United States
  • Language: en
  • Pages: 302

The Improper Use of Tax Treaties:With Particular Reference to the Netherlands and the United States

"With particular reference to the Netherlands and the United States."--T.p.

International and Comparative Taxation:Essays in Honour of Klaus Vogel
  • Language: en
  • Pages: 284

International and Comparative Taxation:Essays in Honour of Klaus Vogel

Compilation of the 16 English language contributions of "Staaten und Steuern (States and Taxes)", the original festschrift to honour Klaus Vogel.

The Role of Tax Law in Mergers and Acquisitions
  • Language: en
  • Pages: 207

The Role of Tax Law in Mergers and Acquisitions

  • Categories: Law

Series on International Taxation, Volume 82 The economic value of China’s mergers and acquisitions (M&A) market is exceeded only by that of the United States. However, China’s rapid and somewhat chaotic economic transformation has made the task of taxing M&A transactions in a consistent and prudent manner difficult, leading to a patchwork of fragmented rules that are hard to grasp not only for taxpayers but even for tax professionals and tax officials. Responding to this complex situation, this groundbreaking book explores in detail how income derived from M&A transactions is taxed in China. Using empirical studies in order to provide a first-hand understanding of the context in which th...

The International Tax Law Concept of Dividend
  • Language: en
  • Pages: 379

The International Tax Law Concept of Dividend

  • Categories: Law

The distribution of profits between corporations resident in different jurisdictions gives rise to both significant tax planning opportunities and tax risks. As cross-border transactions between corporations grow in number and complexity, the question of how a profit distribution is classified for corporate income tax purposes becomes increasingly important, particularly in the context of issues such as double taxation, non-taxation and tax neutrality. The OECD BEPS project has only increased the relevance. This unique work discusses the international tax law rules determining which transactions may be classified and taxed as dividends and how possible classification conflicts may be resolve...

The Taxation of Fees for Technical Services on the Basis of Article 12A UN Model Convention
  • Language: en
  • Pages: 330

The Taxation of Fees for Technical Services on the Basis of Article 12A UN Model Convention

  • Categories: Law

Although rules on the allocation of taxing rights for fees for technical services have been provided for in bilateral tax treaties by African, Asian, and South American countries for decades, it was only in the 2017 update that the UN Model Tax Treaty included Article 12A on the matter, thus suggesting its inclusion in the tax treaty network of its Member States. Consequently, from a cross-border perspective, the interpretation of Article 12A is of great importance for both taxpayers and tax authorities. This book presents the first comprehensive analysis of the scope of technical services in comparison to ordinary (non-technical) services and the differentiation between Article 12A and othe...

Tax Coordination in the European Community
  • Language: en
  • Pages: 370

Tax Coordination in the European Community

The results of the work of the Conference on Tax Coordination in the European Community appear at a time when the Community has undertaken, as a priority task, the completion of the internal market. The Commission's programme and proposed timetable for the achievement of that goal are spelt out in the White Paper, which was endorsed by the European Council at Milan in June 1985, an endorsement which was repeated at the Council's subsequent meeting in Luxemburg in December 1985. The Commission wholly endorses the views of the Conference as regards the need for urgent action to remove the grave restrictions on the free movement of the factors of production which continue to exist within the Co...

International Tax Aspects of Sovereign Wealth Investors
  • Language: en
  • Pages: 277

International Tax Aspects of Sovereign Wealth Investors

  • Categories: Law

An increasing number of States have entered the market looking to invest resources in foreign assets. This emergence of States acting as investors, managing the wealth of a nation and competing in the marketplace with private investors, has attracted growing and wide attention. This book is the first in-depth analysis of the international tax aspects of sovereign wealth investors, and serves as a comprehensive guide to designing tax policy, from a source State perspective, toward inbound sovereign wealth investment. Drawing on a wide range of relevant sources, including international instruments, domestic tax legislation, administrative practice, (international) case law and the writings of ...

Residence and Economic Substance of Subsidiary Corporations in International and European Tax Law
  • Language: en
  • Pages: 473

Residence and Economic Substance of Subsidiary Corporations in International and European Tax Law

  • Categories: Law

Series on International Taxation Residence and Economic Substance of Subsidiary Corporations in International and European Tax Law It is well known that multinational corporations establish foreign subsidiaries in great measure to reduce their worldwide tax burden. This groundbreaking book examines the content of the substance requirement in double tax convention residence rules, transfer pricing rules, anti-abuse rules, and controlled foreign corporation rules in the context of international and EU tax law, disentangling the complex relationship between the substance requirements in these four sets of legal rules. Following a descriptive-analytic method, for each substance requirement of th...

Tax Treaty Dispute Resolution
  • Language: en
  • Pages: 256

Tax Treaty Dispute Resolution

  • Categories: Law

Stakeholders in the international taxation community agree that existing dispute resolution processes are in serious need of improvement, and a global consensus must be achieved. This book offers a potential restructuring of the tax treaty dispute resolution system based on a comparative analysis of the dispute resolution mechanisms under tax treaties, as prescribed in the OECD and UN models, on the one hand, and the UN Law of the Sea Convention (LOSC) on the other. This comparative study is the first of its kind and is premised on certain key geopolitical similarities that underpin the international tax regime (ITR) and the law of the sea regime while taking into consideration the differenc...