In the years since the Organisation for Economic Cooperation and Development (OECD) adopted its first draft tax treaty in 1963, the world has experienced an astonishing surge in international trade and investment. The tax treatment of these cross-border transactions is affected by double tax agreements. As tax treaty networks will likely continue to expand, concerns about tax treaty abuse might be expected to grow. The extent to which a country’s tax treaty policy favours developing countries - or not - depends upon the extent to which the country is prepared to adopt provisions from the UN model tax convention as opposed to the OECD model. Developing countries, in particular, should carefully consider the design of their tax treaties s...
Abstract: Policy makers in South Africa, like other emerging market economies, seek to grow their ec...
Developing countries have concluded thousands of bilateral tax treaties, which restrict their ‘taxin...
South Africa experienced an unprecedented growth in its tax treaty network since 1994 as a result of...
In this era of globalisation, developing countries have resorted to double tax agreements in order t...
capital gains tax; corporation tax; double taxation agreement; foreign direct investment; sub-Sahara...
This paper introduces a new dataset that codes the content of 519 tax treaties signed by low- and lo...
Analysis of the international network of double tax treaties reveals a large potential for tax avoid...
Countries often enter into double tax treaties to encourage foreign direct investment by preventing ...
Includes abstract.Includes bibliographical references.Africa has been experiencing significant growt...
Tax treaties between developed and developing countries impose considerable costs on the latter, in ...
Countries enter into double tax agreements with the economic objective of preventing double taxation...
Most tax treaties (including South Africa's) are based on the OECD Model Tax Convention on Income an...
Beneficial owner is one of the most important concepts used in tax treaties. It limits the benefit o...
Special Issue: International Tax Challenges for Developing CountriesDeveloping countries frequen...
Tax avoidance strategies by multinational companies rely heavily on tax treaties. Multinational comp...
Abstract: Policy makers in South Africa, like other emerging market economies, seek to grow their ec...
Developing countries have concluded thousands of bilateral tax treaties, which restrict their ‘taxin...
South Africa experienced an unprecedented growth in its tax treaty network since 1994 as a result of...
In this era of globalisation, developing countries have resorted to double tax agreements in order t...
capital gains tax; corporation tax; double taxation agreement; foreign direct investment; sub-Sahara...
This paper introduces a new dataset that codes the content of 519 tax treaties signed by low- and lo...
Analysis of the international network of double tax treaties reveals a large potential for tax avoid...
Countries often enter into double tax treaties to encourage foreign direct investment by preventing ...
Includes abstract.Includes bibliographical references.Africa has been experiencing significant growt...
Tax treaties between developed and developing countries impose considerable costs on the latter, in ...
Countries enter into double tax agreements with the economic objective of preventing double taxation...
Most tax treaties (including South Africa's) are based on the OECD Model Tax Convention on Income an...
Beneficial owner is one of the most important concepts used in tax treaties. It limits the benefit o...
Special Issue: International Tax Challenges for Developing CountriesDeveloping countries frequen...
Tax avoidance strategies by multinational companies rely heavily on tax treaties. Multinational comp...
Abstract: Policy makers in South Africa, like other emerging market economies, seek to grow their ec...
Developing countries have concluded thousands of bilateral tax treaties, which restrict their ‘taxin...
South Africa experienced an unprecedented growth in its tax treaty network since 1994 as a result of...