Taxation of Intellectual Property Under Domestic Law, EU Law and Tax Treaties

Taxation of Intellectual Property Under Domestic Law, EU Law and Tax Treaties
Title Taxation of Intellectual Property Under Domestic Law, EU Law and Tax Treaties PDF eBook
Author Guglielmo Maisto
Publisher
Pages
Release 2018
Genre
ISBN 9789087224639

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Taxation of Intellectual Property Under Domestic Law, EU Law and Tax Treaties

Taxation of Intellectual Property Under Domestic Law, EU Law and Tax Treaties
Title Taxation of Intellectual Property Under Domestic Law, EU Law and Tax Treaties PDF eBook
Author Guglielmo Maisto
Publisher
Pages 0
Release 2020
Genre Intellectual property
ISBN

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Immovable Property Under Domestic Law, EU Law and Tax Treaties

Immovable Property Under Domestic Law, EU Law and Tax Treaties
Title Immovable Property Under Domestic Law, EU Law and Tax Treaties PDF eBook
Author Guglielmo Maisto
Publisher
Pages 600
Release 2015
Genre
ISBN 9789087223274

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This book, comprising the proceedings and working documents of an annual seminar held in Milan in November 2014, provides a thorough analysis of the taxation of immovable properties. 0The analysis starts from a survey of the concept of “immovable property” in common and civil law jurisdictions and then considers how different approaches affected the taxation of income deriving therefrom. 0EU tax law issues are then taken into consideration, both from an income tax and VAT viewpoint. In particular, the income tax analysis provides an extensive examination of how taxation of immovable property applied by EU Member States may affect fundamental freedoms.

Taxation of Interest Under Domestic Law. EU Law and Tax Treaties

Taxation of Interest Under Domestic Law. EU Law and Tax Treaties
Title Taxation of Interest Under Domestic Law. EU Law and Tax Treaties PDF eBook
Author
Publisher
Pages 0
Release 2022
Genre
ISBN 9789087227845

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Taxation of Interest under Domestic Law, EU Law and Tax Treaties', comprising the proceedings and working documents of the annual seminar held in Milan in November 2021, is a detailed and comprehensive study on the tax treatment of cross-border interest payments.

Intellectual Property

Intellectual Property
Title Intellectual Property PDF eBook
Author Richard J. Gallafent
Publisher Addison Wesley Publishing Company
Pages 440
Release 1992
Genre Law
ISBN

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Part one considers the basic concepts behind the different areas of intellectual property, how to obtain legal protection and in what form. Part two considers those issues discussed in part one from a tax point of view. Supporting material such as standard agreements and IRS rulings is included.

Hybrid Entities in Tax Treaty Law

Hybrid Entities in Tax Treaty Law
Title Hybrid Entities in Tax Treaty Law PDF eBook
Author Sriram Govind
Publisher Linde Verlag GmbH
Pages 696
Release 2020-09-03
Genre Law
ISBN 3709410754

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Tax treaty law and EU tax law in connection with hybrid entities Hybrid entities have traditionally been used as an avenue for international tax planning, and extending benefits under tax treaties to such entities has been a source of controversy for many years now. Although the OECD Partnership Report provided solid policy footing on this issue, there was still no common legal basis that countries could rely on for such positions. The increasing focus of countries towards the curbing of tax avoidance and abuse involving hybrid mismatch arrangements culminated in a specific action plan in the BEPS Project being dedicated to the design of domestic rules and the development of treaty provisions that would neutralize the tax effects of such arrangements. This volume provides an in-depth analysis of various aspects of this topic. It is divided into two parts – the first dealing exclusively with tax treaty issues arising in connection with hybrid entities and the second dealing with EU tax law issues surrounding hybrid entities. The former part comprises chapters analysing how tax treaties have historically dealt with this issue with a focus on domestic court jurisprudence, the positions in the OECD and the UN Model Conventions, the developments that have come about owing to the BEPS Project, and the impact of several existing measures, regimes, and vehicles on these tax treaty provisions. The latter part comprises chapters on how hybrid entities are dealt with under primary EU law, under various secondary law directives including the newly enacted Anti-Tax Avoidance Directives, and an analysis of policy solutions offered in this direction.

EU Freedoms, Non-EU Countries and Company Taxation

EU Freedoms, Non-EU Countries and Company Taxation
Title EU Freedoms, Non-EU Countries and Company Taxation PDF eBook
Author D.S. Smit
Publisher Kluwer Law International B.V.
Pages 822
Release 2012-06-01
Genre Law
ISBN 9041140743

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In today’s environment of largely globalizing national economies, international economic integration does not stop at the frontiers of the European Union. Many non-EU-based enterprises are carrying on business in the European Union through the operation of branches or subsidiaries established in EU Member States, and a large number of EU-based enterprises maintain a diversified range of investments outside the Union. Accordingly, in both inward and outward investment relationships, ‘economic openness’ is key nowadays. This legal relationship between EU Member States and the EU as a whole vis-à-vis the rest of the world is the starting point of this book. The author analyses the ‘freedom of investment’ concept between EU Member States and non-EU States under EU law, and specifically its effect on company taxation regimes, from the perspective of multinational enterprises. Focusing on the impact of the Treaty freedoms and international integration agreements on relations with non-EU Member States, this work is the first to specifically address the all-important issue: Under which circumstances can investment-related rights deriving from EU law be invoked by companies established in non-EU states? The analysis identifies the impact of the EU Treaty freedoms on six basic corporate income tax themes that are of particular interest for multinational enterprises: limitation on the deduction of interest expenses; withholding taxes on dividend, interest, and royalty payments; relief for double taxation of income received from foreign investments; CFC legislation; non-deduction of foreign losses from the domestic taxable base; and company taxation upon the transnational transfer of business assets.