International Company Taxation and Tax Planning
Title | International Company Taxation and Tax Planning PDF eBook |
Author | Dieter Endres |
Publisher | |
Pages | 0 |
Release | 2015 |
Genre | Corporations |
ISBN | 9789041145567 |
This book provides a description and analysis of tax systems worldwide. It offers practical guidance on international planning approaches from a team of both tax practitioners and academics. In addition to references to country-specific tax legislation - including laws and rules in all EU Member States plus the United States, as well as special provisions in Australia, Japan, and elsewhere - the book discusses important ECJ decisions and various other case studies.
International Company Taxation
Title | International Company Taxation PDF eBook |
Author | Ulrich Schreiber |
Publisher | Springer Science & Business Media |
Pages | 179 |
Release | 2013-01-30 |
Genre | Business & Economics |
ISBN | 3642363067 |
The book is written for students of business economics and tax law. It focuses on investment and financing decisions in cross-border situations. In particular, the book deals with: Legal structures of international company taxation, International double taxation, Source-based and residence-based income taxation, International investment and profit shifting, International corporate tax planning, International tax planning and European law, Harmonization of corporate taxation in the European Union, International tax planning and tax accounting. International tax law is designed to avoid international double taxation and to combat international tax avoidance. Nevertheless, companies investing in foreign countries may suffer from international double taxation of profits. On the other hand, these companies may also be able to exploit an international tax rate differential by means of cross-border tax planning. Ulrich Schreiber holds the chair of Business Administration and Business Taxation at the University of Mannheim. He serves as co-editor of Schmalenbachs Zeitschrift für betriebswirtschaftliche Forschung (zfbf) and Schmalenbach Business Review (sbr) and is affiliated with the Centre for European Economic Research (ZEW) as a research associate. Ulrich Schreiber is a member of the Academic Advisory Board of the Federal Ministry of Finance.
Langer on Practical International Tax Planning: Focus on tax planning
Title | Langer on Practical International Tax Planning: Focus on tax planning PDF eBook |
Author | Denis A. Kleinfeld |
Publisher | Practising Law Inst |
Pages | 1735 |
Release | 2000 |
Genre | Law |
ISBN | 9780872241282 |
Examining more than 50 tax-advantaged territories around the world, PLI's Langer on Practical International Tax Planning gives you the current knowledge and savvy advice you need to help clients capitalize on ripe tax havens and financial centers.
Common Corporate Tax Base (CC(C)TB) and Determination of Taxable Income
Title | Common Corporate Tax Base (CC(C)TB) and Determination of Taxable Income PDF eBook |
Author | Christoph Spengel |
Publisher | Springer Science & Business Media |
Pages | 130 |
Release | 2012-03-13 |
Genre | Law |
ISBN | 3642284337 |
The study conducted by the Centre of European Economic Research (ZEW), the University of Mannheim and Ernst & Young contributes to the ongoing evaluation of the proposal for a Draft Council Directive on a Common Consolidated Corporate Tax Base (CC(C)TB) released by the European Commission on March 16, 2011. For the first time, details on the determination of taxable income under the proposed Council Directive are compared to prevailing corporate tax accounting regulations in all 27 Member States, Switzerland and the US. The study presents evidence on the scope of differences and similarities between national tax accounting regulations and the Directive’s treatment in a complete, yet concise form. Based on this comprehensive comparison, it goes on to discuss remaining open questions and adjustments needed if the Directive is to be implemented in national tax law. Readers seeking a basis for taking an active part in the public debate will find a valuable source of information and a first impression of how the proposed CC(C)TB would affect corporate tax burdens in the European Union.
The Principles of International Tax
Title | The Principles of International Tax PDF eBook |
Author | Adrian Ogley |
Publisher | International Information Services Incorporated |
Pages | 186 |
Release | 1993 |
Genre | Business & Economics |
ISBN | 9780952044208 |
This work on international tax aims to strip away the mystique that can surround the subject. International tax is now recognised as an important discipline in its own right. The book sets out to synthesise its most important elements.
International Tax Policy and Double Tax Treaties
Title | International Tax Policy and Double Tax Treaties PDF eBook |
Author | Kevin Holmes |
Publisher | IBFD |
Pages | 433 |
Release | 2007 |
Genre | Double taxation |
ISBN | 9087220235 |
Explains the concepts that underlie international tax law and double tax treaties and provides an insight into how international tax policy, law and practice operate to ultimately impose tax on international business and investment.
International Taxation of Trust Income
Title | International Taxation of Trust Income PDF eBook |
Author | Mark Brabazon |
Publisher | Cambridge University Press |
Pages | 0 |
Release | 2022-06-30 |
Genre | Law |
ISBN | 9781108729178 |
In International Taxation of Trust Income, Mark Brabazon establishes the study of international taxation of trust income as a globally coherent subject. Covering the international tax settings of Australia, New Zealand, the UK, and the US, and their taxation of grantors/settlors, beneficiaries, trusts, and trust distributions, the book identifies a set of principles and corresponding tax settings that countries may apply to cross-border income derived by, through, or from a trust. It also identifies international mismatches between tax settings and purely domestic design irregularities that cause anomalous double- or non-taxation, and proposes an approach to tax design that recognises the policy functions (including anti-avoidance) of particular rules, the relative priority of different tax claims, the fiscal sovereignty of each country, and the respective roles of national laws and tax treaties. Finally, the book includes consideration of BEPS reforms, including the transparent entity clause of the OECD Model Tax Treaty.