The beneficial ownership concept has constituted for more than half a century one of the most fundamental and debated issues in the application of tax treaties. This article goes back to routes of this term explaining the reason of its original inclusion in the OECD Model Tax Convention and why ultimately such inclusion may have not been necessary. Then it analyses the historical developments of beneficial ownership in the OECD Model Tax Convention. For that purpose it considers different interpretations adopted by jurisdictions (particularly in China) and local courts delving into some of the landmark cases on the subject. Finally it provides a detailed analysis of the current meaning of beneficial ownership considering the most recent dev...
Thesis (MComm) -- Stellenbosch University, 2011.ENGLISH ABSTRACT: The study’s focus is to provide an...
Countries enter into double tax agreements with the economic objective of preventing double taxation...
The complex interconnections characterizing the relationship between the international tax treaty la...
Beneficial ownership is a concept used in the OECD Model Tax Convention to deny the treaty benefits ...
Beneficial owner is one of the most important concepts used in tax treaties. It limits the benefit o...
The interpretation of the concept of 'beneficial ownership' in the field of cross-border taxation is...
In April 2011, the OECD released an important discussion draft that is intended to clarify the meani...
This article considers the “problems” that have arisen regarding the practical implementation of Chi...
This authoritative book provides a structural, global view of evolving judicial and doctrinal trends...
The concept of “beneficial ownership” is frequently used in international tax treaties. The concept ...
By July 2012, China had entered into 99 double tax agreements and signed nine tax information exchan...
Free movement of goods, capital, workers and services have stimulated economic and social interactio...
The term ‘beneficial owner’ was first internationally introduced by the OECD in the Model Convention...
The underlying goal of this paper is better understanding of the beneficial ownership concept in Chi...
The OECD Model Tax Convention contains a beneficial owner requirement for the taxation of dividend, ...
Thesis (MComm) -- Stellenbosch University, 2011.ENGLISH ABSTRACT: The study’s focus is to provide an...
Countries enter into double tax agreements with the economic objective of preventing double taxation...
The complex interconnections characterizing the relationship between the international tax treaty la...
Beneficial ownership is a concept used in the OECD Model Tax Convention to deny the treaty benefits ...
Beneficial owner is one of the most important concepts used in tax treaties. It limits the benefit o...
The interpretation of the concept of 'beneficial ownership' in the field of cross-border taxation is...
In April 2011, the OECD released an important discussion draft that is intended to clarify the meani...
This article considers the “problems” that have arisen regarding the practical implementation of Chi...
This authoritative book provides a structural, global view of evolving judicial and doctrinal trends...
The concept of “beneficial ownership” is frequently used in international tax treaties. The concept ...
By July 2012, China had entered into 99 double tax agreements and signed nine tax information exchan...
Free movement of goods, capital, workers and services have stimulated economic and social interactio...
The term ‘beneficial owner’ was first internationally introduced by the OECD in the Model Convention...
The underlying goal of this paper is better understanding of the beneficial ownership concept in Chi...
The OECD Model Tax Convention contains a beneficial owner requirement for the taxation of dividend, ...
Thesis (MComm) -- Stellenbosch University, 2011.ENGLISH ABSTRACT: The study’s focus is to provide an...
Countries enter into double tax agreements with the economic objective of preventing double taxation...
The complex interconnections characterizing the relationship between the international tax treaty la...