Includes bibliographical references (leaves 115-119).This thesis tests the sufficiency of the definition of permanent establishments (PE), as contained in the Double Tax Agreements (DTAs) of selected "fishing rich" African countries, in protecting their taxing rights over profits made by non-residents from fishing in the waters of their states. The concept and meaning of "fixed place of residence" and "any other place of extraction” of natural resources is analysed in the context of establishing a PE in the Source State, taking various rules of interpretation, commentaries, judicial and academic views into account. It is concluded that although there are strong arguments in support of the view that a fishing vessel can be considered a fixed...
M.Com. (South African and International Taxation)The concept of permanent establishment (PE) is a fu...
Includes bibliographical references.Special tax regimes (“STR”) and tax havens are topics that featu...
This contribution analyses the concept of a “permanent establishment” in South Africa in light of th...
Includes abstract.Includes bibliographical references (leaves 141-148).Given the considerable increa...
Namibia is a country rich in natural resources and heavily dependent on foreign investment to effect...
The objective of the study was to investigate the right of the South African Government to tax the i...
South Africa's right to tax the income of a non-resident is determined in terms of the South African...
Double Taxation Agreements (DTAs) are bilateral tax treaties that are designed to reduce the negativ...
Includes bibliographical references (leaves 52-54).Kenya, Tanzania and Uganda are countries that are...
In this era of globalisation, developing countries have resorted to double tax agreements in order t...
This dissertation will determine whether or not the definition of a PE, as used in the DTAs of selec...
This dissertation seeks to establish whether the presence or activities of a partner or partners in ...
The difference between South Africa’s domestic PE definition and the PE definition in its various DT...
The right to tax is traditionally based on connection to jurisdiction. Taxation is divided into inte...
The article deals with one of the cases when permanent establishment (PE) is not usually formed – th...
M.Com. (South African and International Taxation)The concept of permanent establishment (PE) is a fu...
Includes bibliographical references.Special tax regimes (“STR”) and tax havens are topics that featu...
This contribution analyses the concept of a “permanent establishment” in South Africa in light of th...
Includes abstract.Includes bibliographical references (leaves 141-148).Given the considerable increa...
Namibia is a country rich in natural resources and heavily dependent on foreign investment to effect...
The objective of the study was to investigate the right of the South African Government to tax the i...
South Africa's right to tax the income of a non-resident is determined in terms of the South African...
Double Taxation Agreements (DTAs) are bilateral tax treaties that are designed to reduce the negativ...
Includes bibliographical references (leaves 52-54).Kenya, Tanzania and Uganda are countries that are...
In this era of globalisation, developing countries have resorted to double tax agreements in order t...
This dissertation will determine whether or not the definition of a PE, as used in the DTAs of selec...
This dissertation seeks to establish whether the presence or activities of a partner or partners in ...
The difference between South Africa’s domestic PE definition and the PE definition in its various DT...
The right to tax is traditionally based on connection to jurisdiction. Taxation is divided into inte...
The article deals with one of the cases when permanent establishment (PE) is not usually formed – th...
M.Com. (South African and International Taxation)The concept of permanent establishment (PE) is a fu...
Includes bibliographical references.Special tax regimes (“STR”) and tax havens are topics that featu...
This contribution analyses the concept of a “permanent establishment” in South Africa in light of th...