The Application of the OECD Model Tax Convention to Partnerships

The Application of the OECD Model Tax Convention to Partnerships
Author: Organisation for Economic Co-operation and Development
Publisher: Org. for Economic Cooperation & Development
Total Pages: 138
Release: 1999
Genre: Business & Economics
ISBN:

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The book includes the report adopted by Committee on Fiscal Affairs. It deals with the application of the provisions of the OECD Model Tax Convention, and indirectly of bilateral tax conventions based on that Model, to the partnerships. It includes the reservations of France, Germany, the Netherlands, Portugal and Switzerland on various aspects of the report.

Issues in International Taxation Issues Related to Article 14 of the OECD Model Tax Convention

Issues in International Taxation Issues Related to Article 14 of the OECD Model Tax Convention
Author: OECD
Publisher: OECD Publishing
Total Pages: 48
Release: 2000-04-01
Genre:
ISBN: 9264181237

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This book recommends that Article 14 be eliminated from the OECD Model Tax Convention and describes the changes that would need to be made to the Articles and Commentary of the Model as a consequence.

Issues in International Taxation 2002 Reports Related to the OECD Model Tax Convention

Issues in International Taxation 2002 Reports Related to the OECD Model Tax Convention
Author: OECD
Publisher: OECD Publishing
Total Pages: 129
Release: 2003-05-16
Genre:
ISBN: 9264099921

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This publication includes three recent reports that resulted in changes to the OECD Model Tax Convention. One covers entitlement to treaty benefits, another covers e-commerce, and the third covers issues arising under the permanent establishment article.

Taxation of Cross-border Partnerships

Taxation of Cross-border Partnerships
Author: Jesper Barenfeld
Publisher: IBFD
Total Pages: 431
Release: 2005
Genre: Double taxation
ISBN: 9076078858

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Aims to identify and analyse problems related to double taxation of income attributable to cross border partnerships in asymmetrical situations de lege lata. This refers to cases where the same partnership, in across border owner/entity situation, is recognized as a taxable person in one country, but as transparent for tax purposes in the other."

Model Tax Convention on Income and on Capital 2014 (Full Version)

Model Tax Convention on Income and on Capital 2014 (Full Version)
Author: OECD
Publisher: OECD Publishing
Total Pages: 2289
Release: 2015-10-30
Genre:
ISBN: 9264239081

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This publication is the ninth edition of the full version of the OECD Model Tax Convention on Income and on Capital. This full version contains the full text of the Model Tax Convention on Income and on Capital as it read on 15 July 2014.

The 2010 OECD Updates

The 2010 OECD Updates
Author: Dennis Manolito Weber
Publisher: Kluwer Law International B.V.
Total Pages: 248
Release: 2011-01-01
Genre: Law
ISBN: 9041138129

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Virtually all international taxation provisions ultimately stem from two fundamental sources, both originating at the OECD: The Model Tax Convention (on which more than 3,000 bilateral tax treaties are based), and the Transfer Pricing Guidelines. During 2010, major revisions were made to both. This unique book provides an expert analysis of current, important topics in international taxation and transfer pricing. As such, it is a welcome and valuable resource for tax lawyers and consultants, corporate tax advisers, government officials and others involved in the international tax law market, as well as for academics and researchers in the field.

"Taxes Covered"

Author: Patricia Brandstetter
Publisher: IBFD
Total Pages: 281
Release: 2011
Genre: Capital levy
ISBN: 9087220898

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"The substantive scope of a tax treaty determines the extent of protection it can provide against international double taxation. Countries worldwide have adopted the text of Art. 2 ('Taxes covered') of the OECD Model Tax Conventions in their bilateral tax treaties. However, the structure and wording of Art. 2, which have remained virtually unchanged since the beginnings of tax treaty law in the 1920s, create interpetive issues and uncertainties in practical treaty application. This book not only provides in-depth analysis of recent case law and academic literature, but also sheds light on the background to the standard formulations so widely used in the provision on the substantive scope of today's tax treaties. The source documents used have rarely found their way into publications before: historical OEEC and OECD Reports and Minutes, originally largely classified as 'restricted' and thus inaccessible to the public for decades, provide an insight into the drafting process of Art. 2 and the discussions of Delegates from various nations on practical implications for treaty application. The book offers a unique perspective on this core treaty provision and aims to provide guidance for determing the 'taxes covered' in any tax treaty"--Page 4 of cover.