During the 21th century, digitalization is considered the most important development of the modern global economy. Tax avoidance is a growing issue for governments globally, that are loosing lots of tax money to finance public welfare systems supporting healthcare, educational institutions and infrastructures. Value creation in digital business models generates profits different than traditional business models and the current international tax rules are not fit for the digital era. Today’s rules facilitate the possibility for multinational enterprises to establish digital business models in various jurisdictions and are shifting their profits into low tax jurisdictions. A digital business can have minor or no physical presence in the state...
This thesis discusses jurisdiction to tax cross-border digital commerce. The primary objective is to...
This thesis discusses jurisdiction to tax cross-border digital commerce. The primary objective is to...
This article is concerned with source-based approaches to the international tax challenges raised by...
In the 20¬th century, most developed countries taxed and redistributed - either in money or in kind ...
Under current international tax law, profits of an enterprise are only taxable in the domicile of th...
Digital economy changes not only behavior of managers and companies but also how states are governed...
The taxation of the digital economy is not a new subject but its fast development demands a solid so...
The digitalization of the economy has rapidly changed the outlook of the business models today. It i...
The international tax regime has wide implications for business, trade, and the international politi...
As digital services and electronic commerce have become more prevalent aspects of the global economy...
The "digital economy", a well-established notion in international tax law, is problematic for nation...
Fair taxation of digital businesses will be a key issue in the forthcoming European election campaig...
Italy’s recent decision to unilaterally introduce a digital services tax consistent with the taxatio...
The digital economy is increasingly replacing the everyday economy. The continued rapid pace of tech...
Modern day digital economy poses challenges for taxation system based on traditional rules of physic...
This thesis discusses jurisdiction to tax cross-border digital commerce. The primary objective is to...
This thesis discusses jurisdiction to tax cross-border digital commerce. The primary objective is to...
This article is concerned with source-based approaches to the international tax challenges raised by...
In the 20¬th century, most developed countries taxed and redistributed - either in money or in kind ...
Under current international tax law, profits of an enterprise are only taxable in the domicile of th...
Digital economy changes not only behavior of managers and companies but also how states are governed...
The taxation of the digital economy is not a new subject but its fast development demands a solid so...
The digitalization of the economy has rapidly changed the outlook of the business models today. It i...
The international tax regime has wide implications for business, trade, and the international politi...
As digital services and electronic commerce have become more prevalent aspects of the global economy...
The "digital economy", a well-established notion in international tax law, is problematic for nation...
Fair taxation of digital businesses will be a key issue in the forthcoming European election campaig...
Italy’s recent decision to unilaterally introduce a digital services tax consistent with the taxatio...
The digital economy is increasingly replacing the everyday economy. The continued rapid pace of tech...
Modern day digital economy poses challenges for taxation system based on traditional rules of physic...
This thesis discusses jurisdiction to tax cross-border digital commerce. The primary objective is to...
This thesis discusses jurisdiction to tax cross-border digital commerce. The primary objective is to...
This article is concerned with source-based approaches to the international tax challenges raised by...