Proposed Income Tax Convention Between the United States and Belgium
Author:
Publisher:
Published: 1970
Total Pages: 64
ISBN-13:
DOWNLOAD EBOOKRead and Download eBook Full
Author:
Publisher:
Published: 1970
Total Pages: 64
ISBN-13:
DOWNLOAD EBOOKAuthor:
Publisher:
Published: 1998
Total Pages: 52
ISBN-13:
DOWNLOAD EBOOKAuthor: United States. Congress. Senate. Committee on Foreign Relations
Publisher:
Published: 1975
Total Pages: 20
ISBN-13:
DOWNLOAD EBOOKAuthor: OECD
Publisher: OECD Publishing
Published: 2017-12-18
Total Pages: 658
ISBN-13: 9264287957
DOWNLOAD EBOOKThis is the tenth edition of the condensed version of the "OECD Model Tax Convention on Income and on Capital". It contains the full text of the "Model Tax Convention on Income and Capital" as it read on 21 November 2017, but without the historical notes and the background reports included...
Author: Netherlands
Publisher:
Published: 1969
Total Pages: 24
ISBN-13:
DOWNLOAD EBOOKAuthor: Belgium
Publisher:
Published: 2007
Total Pages: 64
ISBN-13:
DOWNLOAD EBOOKAuthor: Juan Angel Becerra
Publisher: IBFD
Published: 2007
Total Pages: 299
ISBN-13: 9087220197
DOWNLOAD EBOOKThis book presents an overview of the materials, court cases and mutual agreement procedures implemented in Canada, USA and Mexcio. In addition, it provides a background to the development of tax treaty law and the information necessary to interpret a tax treaty based upon the principles codified in the Vienna Convention of the Law of Treaties. Contents: the background of the early model tax conventions; the development of tax treaty law; the specific materials from Canada, the United States and Mexico; proposal for a trilateral tax treaty for North America to provide full relief from the harmful barriers against free movement of capital and services.
Author: United States. Congress. Senate. Committee on Foreign Relations
Publisher:
Published: 1975
Total Pages: 16
ISBN-13:
DOWNLOAD EBOOKAuthor: Xavier Oberson
Publisher: IBFD
Published: 2011
Total Pages: 457
ISBN-13: 9087220987
DOWNLOAD EBOOK"Switzerland has recently witnessed an unprecedented level of tax treaty negotiations. Although this is a direct result of Switzerland's revised position regarding exchange of information, a number of contracting states have taken this opportunity to modify tax treaty benefits and/or clarify certain aspects of tax treaty interpretation and application. These are considered extensively in this edition. As Switzerland has steadily aligned itself with international principles of international taxation, the self-imposed anti-abuse rules for the application of tax treaties have become less relevant. Nevertheless, Swiss courts have become more creative in determining where there is and where there is not treaty abuse. As a result, the 1962 Abuse Decree is making way for a more complex basket of anti-abuse rules and regulations"--Foreword (page vii).