This third and final article in the series discusses in more detail BEPS Actions 7 and 15, which have particular relevance to the digital economy. It examines the steps that New Zealand and other OECD jurisdictions are taking to implement these particular recommendations dealing, respectively, with artificial avoidance of permanent establishment (PE) status and the development of a multilateral instrument to modify bilateral tax treaties. The article also tries to place Actions 7 and 15 within the context of a recent and intensifying global discussion on the ability of taxing jurisdictions to address perceived revenue leakage from large corporations that have benefited from, or are leading players in, the rise of the Internet. The simplifie...
The digital economy is growing rapidly and the modern business concepts are moving even further and ...
This article discusses planning objectives and an alternative approach to income tax and goods and s...
The Introduction of cross-border taxation is because of the way in which principles are connected to...
As digital services and electronic commerce have become more prevalent aspects of the global economy...
This Article argues that governments should abandon the treaty concept of permanent establishment an...
This thesis discusses jurisdiction to tax cross-border digital commerce. The primary objective is to...
This Article argues that governments should abandon the treaty concept of permanent establishment an...
As the digital economy changes the way that we do business, tax laws have been challenged to adapt a...
This thesis discusses jurisdiction to tax cross-border digital commerce. The primary objective is to...
Abstract : The world has moved to a business environment of automated production driven by electroni...
The digital economy is rapidly evolving and changing the way businesses operate. This is as a result...
The international tax regime has wide implications for business, trade, and the international politi...
This article provides a literature and current practice review of developments in the taxation of e-...
Internet, taxation, electronic commerce The Internet has not only changed the way business is conduc...
Digital commerce - the use of computer networks to facilitate transactions involving the production,...
The digital economy is growing rapidly and the modern business concepts are moving even further and ...
This article discusses planning objectives and an alternative approach to income tax and goods and s...
The Introduction of cross-border taxation is because of the way in which principles are connected to...
As digital services and electronic commerce have become more prevalent aspects of the global economy...
This Article argues that governments should abandon the treaty concept of permanent establishment an...
This thesis discusses jurisdiction to tax cross-border digital commerce. The primary objective is to...
This Article argues that governments should abandon the treaty concept of permanent establishment an...
As the digital economy changes the way that we do business, tax laws have been challenged to adapt a...
This thesis discusses jurisdiction to tax cross-border digital commerce. The primary objective is to...
Abstract : The world has moved to a business environment of automated production driven by electroni...
The digital economy is rapidly evolving and changing the way businesses operate. This is as a result...
The international tax regime has wide implications for business, trade, and the international politi...
This article provides a literature and current practice review of developments in the taxation of e-...
Internet, taxation, electronic commerce The Internet has not only changed the way business is conduc...
Digital commerce - the use of computer networks to facilitate transactions involving the production,...
The digital economy is growing rapidly and the modern business concepts are moving even further and ...
This article discusses planning objectives and an alternative approach to income tax and goods and s...
The Introduction of cross-border taxation is because of the way in which principles are connected to...