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Popular Articles:
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Employees of International Organisations: Pensions Taxation
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Is FATCA ‘Much Ado About Nothing’? Is FATCA’s Tax Revenue Going to Offset Its IRS and Industry Costs?
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Announcement of the final BEPS action plan
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The McDonald’s State Aid Case – The EU Commission Interprets a Tax Treaty
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Is it not Time to Correct the OECD MC Commentary on CFC’s?
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“The United States of America is the most powerful nation on Earth.” What does this mean for the future of CV/BV-structures?
Recent Articles:
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The Contents of Intertax, Volume 52, Issue 03, 2024
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Anti-profiteering Provisions under Indian GST: Despite Judicial Blessing, the Government must reconsider its stance
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The Contents of Highlights & Insights on European Taxation
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Announcing the new Managing Editor of Kluwer International Tax Blog – Prof. Dr. Svetislav. V. Kostic
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Why S&S Approach as Amount B of Pillar One brings us nothing, at all
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The UN Proposal on Revision of Article 8 – Focus Airlines: Critical analysis and our take on whether it is in the Interest of Developing Countries?
Random Articles:
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The Contents of Highlights & Insights on European Taxation, Issue 5, 2023
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The Netherlands Appeals the Starbucks Decision
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The EU’s Carbon Border Adjustment Mechanism: An Opportunity for the EU to Assume Leadership over Environmental Protection Standards
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Abuse of law, Anti-tax avoidance, BEPS, EU law, International Tax Law, Ireland, MNE Profits, OECD, Transfer Pricing
Irish transfer pricing: leaping ahead
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The Contents of Intertax, Volume 49, Issue 8-9, 2021
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Composite Supplies under EU VAT: Closer Encounters of the Third Kind?
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The Objective Scope of Article 7 and the Treaty Protection to Deemed Distributed Dividends
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UN Model Services Permanent Establishment: What you do – not where you do it
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What Does the PPT Say about Global Tax Governance?
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Uncertainties Following the Final EU Anti-Tax Avoidance Directive