Global income taxation in the country of residence is a legal dogma of international taxation. We question this dogma from the perspective of relations with developing countries from a legal and economic perspective, and make a modern and fair proposal for tax treaties. We will show under which conditions a developing and a developed country will voluntarily sign a tax treaty where information is exchanged truthfully and whether they should share revenues. Moreover, we will demonstrate how the conclusion of a tax treaty can assist in the implementation of a tax audit system
The proposal made in this paper is a modest one: that high-income countries should further the cause...
Any proposal to adopt Unitary Taxation (UT) of multinationals has to contend with whether such taxat...
Current shortfalls in financing required for full achievement of the Millennium Development Goals ha...
Worldwide income taxation in the country of residence is a legal dogma of international taxation. We...
Worldwide income taxation in the country of residence is a legal dogma of international taxation. We...
Worldwide income taxation in the country of residence is a legal dogma of international taxation. We...
Tax treaties and the allocation of taxing rights with developing countries ∗ Dimitri Paolini†, Pasqu...
Chapter of a multidisciplinary international book co-edited by the author in the framework of a larg...
Coordination among nations over the taxation of international transactions rests on a network of som...
Developing countries need fiscal revenue to build their infrastructure, achieve energy security and ...
Certain parts of the international tax system are largely unexplored from a structural perspective. ...
We offer the first attempt at empirically testing the level of transnational consensus on the legal ...
International tax law has not been discussed much by the lawyers involved in public international la...
Analysis of the international network of double tax treaties reveals a large potential for tax avoid...
Although taxation matters are generally accepted to be an issue of national concern, increasing atte...
The proposal made in this paper is a modest one: that high-income countries should further the cause...
Any proposal to adopt Unitary Taxation (UT) of multinationals has to contend with whether such taxat...
Current shortfalls in financing required for full achievement of the Millennium Development Goals ha...
Worldwide income taxation in the country of residence is a legal dogma of international taxation. We...
Worldwide income taxation in the country of residence is a legal dogma of international taxation. We...
Worldwide income taxation in the country of residence is a legal dogma of international taxation. We...
Tax treaties and the allocation of taxing rights with developing countries ∗ Dimitri Paolini†, Pasqu...
Chapter of a multidisciplinary international book co-edited by the author in the framework of a larg...
Coordination among nations over the taxation of international transactions rests on a network of som...
Developing countries need fiscal revenue to build their infrastructure, achieve energy security and ...
Certain parts of the international tax system are largely unexplored from a structural perspective. ...
We offer the first attempt at empirically testing the level of transnational consensus on the legal ...
International tax law has not been discussed much by the lawyers involved in public international la...
Analysis of the international network of double tax treaties reveals a large potential for tax avoid...
Although taxation matters are generally accepted to be an issue of national concern, increasing atte...
The proposal made in this paper is a modest one: that high-income countries should further the cause...
Any proposal to adopt Unitary Taxation (UT) of multinationals has to contend with whether such taxat...
Current shortfalls in financing required for full achievement of the Millennium Development Goals ha...