Like many jurisdictions that have implemented a general anti-avoidance tax legislation (GAAR), Swedish tax law faces the challenge of accurately defining the conditions for distinguishing abusive situations from others, especially as the notion of ‘abuse of law’ does not exist in Swedish law. Defined as a process in which a taxpayer follows both the wording of the law and its jurisprudential application but whose result must be considered unsatisfactory for the applicable rules, tax avoidance in its current version raises many questions particularly in view of its necessary adaptation to EU law
This dissertation concerns a legal development that is currently taking place in Sweden due to its m...
Tax avoidance is neither desirable nor acceptable activity of tax payers therefore countries are see...
Tax avoidance is a concept that is not used in the Turkish tax legislation, and thus there is no leg...
Defining tax avoidance has been always a nearly impossible quest for tax lawyers. In Continental Eur...
Defining tax avoidance has been always a nearly impossible quest for tax lawyers. In Continental Eur...
The primary goal of this article is to analyze the use of the term ‘tax avoidance’ in the legislativ...
Summary When tax treaties are being applied in Swedish law, they are being applied after that the ta...
Through a number of rulings from the European Court of Justice (ECJ) in the past few years a new met...
This paper addresses a principle in international taxation that has long been a subject of controver...
Tax avoidance and aggressive tax planning annually results in large financial losses för the state, ...
Under Swedish tax law; the general clause in the Tax Avoidance Act is a method to prevent tax evasio...
markdownabstractGeneral Anti-Avoidance Rule (GAAR) is a type of rule designed to combat the tax-avoi...
The legal consequence of the application of the tax evasion law is that an otherwise civil legal tra...
Statutory General Anti-Avoidance Rules (GAARs) respond through the enactment of their primary and se...
Swedish tax law contains – apart from a vast and detailed tax legislation – two main approaches agai...
This dissertation concerns a legal development that is currently taking place in Sweden due to its m...
Tax avoidance is neither desirable nor acceptable activity of tax payers therefore countries are see...
Tax avoidance is a concept that is not used in the Turkish tax legislation, and thus there is no leg...
Defining tax avoidance has been always a nearly impossible quest for tax lawyers. In Continental Eur...
Defining tax avoidance has been always a nearly impossible quest for tax lawyers. In Continental Eur...
The primary goal of this article is to analyze the use of the term ‘tax avoidance’ in the legislativ...
Summary When tax treaties are being applied in Swedish law, they are being applied after that the ta...
Through a number of rulings from the European Court of Justice (ECJ) in the past few years a new met...
This paper addresses a principle in international taxation that has long been a subject of controver...
Tax avoidance and aggressive tax planning annually results in large financial losses för the state, ...
Under Swedish tax law; the general clause in the Tax Avoidance Act is a method to prevent tax evasio...
markdownabstractGeneral Anti-Avoidance Rule (GAAR) is a type of rule designed to combat the tax-avoi...
The legal consequence of the application of the tax evasion law is that an otherwise civil legal tra...
Statutory General Anti-Avoidance Rules (GAARs) respond through the enactment of their primary and se...
Swedish tax law contains – apart from a vast and detailed tax legislation – two main approaches agai...
This dissertation concerns a legal development that is currently taking place in Sweden due to its m...
Tax avoidance is neither desirable nor acceptable activity of tax payers therefore countries are see...
Tax avoidance is a concept that is not used in the Turkish tax legislation, and thus there is no leg...