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Exemption method and credit method : the application of article 23 of the OECD Model.

Contributor(s): Material type: TextTextSeries: European and international tax law and policy series ; 24. | WU Institute for Austrian and International Tax Law ; 24.Publication details: Amsterdam : IBFD, 2022.Description: 1 online resource (xiii, 378 p.)Content type:
  • text
Media type:
  • computer
Carrier type:
  • online resource
ISBN:
  • 9789087227999
  • 908722799X
  • 9087228007
  • 9789087228019
  • 9087228015
  • 9789087228002
Subject(s): DDC classification:
  • 343.05/5 23/eng/20240827
LOC classification:
  • K4480
Online resources:
Contents:
Chapter 1: Method article and unilateral measures to avoid double taxation / Rust, A. Ndubai, J.W. ; p. 3-20
Chapter 2: Method article and allocation conflicts / Luo, X. Staringer, C. ; p. 21-47
Chapter 3: Conflicts of qualification under articles 23A(1) and 23B(1) / Barreau, F. Julien, R. ; p. 49-98
Chapter 4: Conflicts of qualification under article 23A(4) / Hellebrandt, V. ; p. 99-121
Chapter 5: Notion of "tax" under the credit method / Rao, S. (Siddhesh) ; p. 123-136
Chapter 6: Credit method and maximum tax credit / Bendlinger, V. ; p. 137-189
Chapter 7: Credit method and different taxes on income and on capital / Lang, M. Rodr�iguez Pe�na, C.C. ; p. 191-209
Chapter 8: Tax sparing / Pistone, P. Liotti, B. Ferreira ; p. 211-264
Chapter 9: Exemption method with proviso safeguarding progression / Spies, K. Scharizer, P.W. ; p. 265-297
Chapter 10: Exemption method and domestic law / Neum�uller, T. ; p. 299-322
Chapter 11: Method article, secondary EU legislation and the fundamental freedoms / Pacher, N. ; p. 323-361
Chapter 12: Relief from double taxation and EU State aid law / Kofler, G.W. ; p. 363-373
Summary: The method article of any tax treaty plays an essential role in avoiding juridical double taxation. It determines the extent to which the residence state refrains from taxing an item of income if both contracting states may tax according to the distributive rules of the treaty. Calculating the respective relief can be challenging, as the wording of both articles 23A and 23B of the OECD Model leaves significant room for interpretation. In the European Union, such interpretation is made even more difficult because the application of the method article needs to comply with EU law, in particular with the fundamental freedoms and the State aid rules. Finally, the method article of the OECD Model has - in the aftermath of the Base Erosion and Profit Shifting Project - undergone adaptations, the impact of which requires further analysis. This book aims to provide an in-depth analysis of all the current issues related to the application of articles 23A and 23B of the OECD Model. The topics discussed include: the method article and unilateral measures to avoid double taxation; the method article and allocation conflicts; conflicts of qualification under articles 23A(1) and 23B(1) of the OECD Model; the credit method and different taxes on income and on capital; the exemption method with proviso safeguarding progression; and relief from double taxation and EU State aid law.
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Chapter 1: Method article and unilateral measures to avoid double taxation / Rust, A. Ndubai, J.W. ; p. 3-20

Chapter 2: Method article and allocation conflicts / Luo, X. Staringer, C. ; p. 21-47

Chapter 3: Conflicts of qualification under articles 23A(1) and 23B(1) / Barreau, F. Julien, R. ; p. 49-98

Chapter 4: Conflicts of qualification under article 23A(4) / Hellebrandt, V. ; p. 99-121

Chapter 5: Notion of "tax" under the credit method / Rao, S. (Siddhesh) ; p. 123-136

Chapter 6: Credit method and maximum tax credit / Bendlinger, V. ; p. 137-189

Chapter 7: Credit method and different taxes on income and on capital / Lang, M. Rodr�iguez Pe�na, C.C. ; p. 191-209

Chapter 8: Tax sparing / Pistone, P. Liotti, B. Ferreira ; p. 211-264

Chapter 9: Exemption method with proviso safeguarding progression / Spies, K. Scharizer, P.W. ; p. 265-297

Chapter 10: Exemption method and domestic law / Neum�uller, T. ; p. 299-322

Chapter 11: Method article, secondary EU legislation and the fundamental freedoms / Pacher, N. ; p. 323-361

Chapter 12: Relief from double taxation and EU State aid law / Kofler, G.W. ; p. 363-373

Europe.

European Union.

The method article of any tax treaty plays an essential role in avoiding juridical double taxation. It determines the extent to which the residence state refrains from taxing an item of income if both contracting states may tax according to the distributive rules of the treaty. Calculating the respective relief can be challenging, as the wording of both articles 23A and 23B of the OECD Model leaves significant room for interpretation. In the European Union, such interpretation is made even more difficult because the application of the method article needs to comply with EU law, in particular with the fundamental freedoms and the State aid rules. Finally, the method article of the OECD Model has - in the aftermath of the Base Erosion and Profit Shifting Project - undergone adaptations, the impact of which requires further analysis. This book aims to provide an in-depth analysis of all the current issues related to the application of articles 23A and 23B of the OECD Model. The topics discussed include: the method article and unilateral measures to avoid double taxation; the method article and allocation conflicts; conflicts of qualification under articles 23A(1) and 23B(1) of the OECD Model; the credit method and different taxes on income and on capital; the exemption method with proviso safeguarding progression; and relief from double taxation and EU State aid law.

Includes bibliographical references.

WorldCat record variable field(s) change: 082

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