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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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Colombia may have to grant Most-Favoured-Nation Treatment to some foreign “royalties” as Double Tax Treaty (DTT) with France comes into force
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Corporate income tax, Double Taxation, Finance, Financial institutions, Financial services, International Tax Law, Liability to tax, MLI, OECD, Permanent Establishments, POEM, Residence, Rule of law, Tax Treaties, United Kingdom, United Nations, United States
When is tax payable “in accordance with” a double tax treaty?
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The problem with taxing ghosts: Agency PE’s and spookiness at a distance
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The Contents of Intertax, Volume 49, Issue 8-9, 2021
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Finnish Tax Administration Targets Dividend Stripping
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An evaluation of Australia’s Advance Pricing Arrangement program in light of the OECD’s Bilateral Advance Pricing Arrangement Manual
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Current Issue of EC Tax Review
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India’s 2017-18 Budget includes key international tax proposals
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Fifty shades of fair exit taxation of corporations
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Analysis of the New US Model Tax Treaty