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Anti-Abuse Rules and Tax Treaties


ISBN13: 9789403526584
Published: April 2024
Publisher: Kluwer Law International
Country of Publication: Netherlands
Format: Hardback
Price: £104.00



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Anti-Abuse Rules and Tax Treaties is a book delving deep into current issues concerning the relations of various anti-abuse rules to each other and their impact on the application of tax treaties. As the struggle to combat tax abuse and tax avoidance gains momentum, ways of making a tax jurisdiction ‘manipulation-proof’ continue to proliferate, from new or revised provisions in model tax treaties to a dramatic increase in the number and variety of anti-abuse and anti-avoidance rules at all levels of government. These measures interact with national tax systems, general anti-abuse clauses and tax treaties, inevitably resulting in conflicts and other legal difficulties that deserve intensive scrutiny.

What’s in this book:

The following topics have been included:

  • domestic general anti-avoidance rules (GAARs)
  • domestic specific anti-avoidance rules (SAARs) (including controlled foreign company rules)
  • minimum holding periods
  • indirect transfers of immovable property, shares, and rights
  • limitation on benefits
  • residence criteria in tax treaties
  • tax treatment of sportspersons and entertainers
  • the principal purpose test of Article 29 (9) OECD Model (2017), and
  • influence of European Union Law on tax treaty abuse

The chapters are revised and expanded versions of papers presented at the 30th Viennese Symposium on International Tax Law held on 12 June 2023 at Vienna University of Economics and Business. Each author thoroughly analyses a specific topic, drawing on the most recent scientific research.

How this will help you:

This one-of-a-kind book offers a wide-ranging, detailed, and pragmatic analysis of how the full range of anti-abuse rules interacts with tax treaties. It will be highly appreciated by practitioners and law firms active in tax planning, tax consultants, academics and researchers in international tax law and counsel for companies involved in international business.

Subjects:
Taxation
Contents:
Preface
CHAPTER 1. Domestic GAARs and Their Impact on Tax Treaties
Alexander Rust & Valentina Emanuele
CHAPTER 2. Impact of Domestic SAARs on Tax Treaties
Ruth Mirembe & Claus Staringer
CHAPTER 3. Anti-Abuse Rules and Tax Treaties: Dual Resident Entities
Daniel W. Blum & Franz Wallig
CHAPTER 4. Minimum Holding Periods (Articles 10(2) and 13(4) OECD MC)
Josef Schuch & Iris Tschatsch
CHAPTER 5. Indirect Transfers of Immovable Property, Shares, and Rights: (Article 13(4) OECD Model and Article 13(5)-(7) UN Model)
Georg Kofler & Thomas Frenkenberger
CHAPTER 6. Sportspersons and Entertainers (Article 17, Paragraph 2 OECD MC)
Michael Hubmann
CHAPTER 7. Limitation on Benefits (Article 29 Paragraphs 1-7 OECD MC)
Pasquale Pistone & Severin Schragl
CHAPTER 8. Third-Country Permanent Establishments (Article 29 Paragraph 8 OECD MC)
Kristof Boel & Rita Szudoczky
CHAPTER 9. The Principal Purpose Test of Article 29(9) OECD Model (2017)
Michael Lang & Oleksandr Nesterov-Surmenko
CHAPTER 10. Harmful Tax Competition and Special Tax Regimes and Tax Treaties (Article 1 Paragraphs 85 Et Seq. OECD Model Commentary)
Rita Szudoczky & Ruth Wamuyu
CHAPTER 11. The Influence of European Union Law on Tax Treaty Abuse
Valentin Bendlinger