The purpose of this article is to provide interpretative guidance to readers outside of South Korea for the royalty provisions of the South Korea-U.S. tax treaty from South Korea`s perspective. This article reviews the royalty provisions of the tax laws and the South Korea-U.S. tax treaty and the issue of characterization. To clarify the meaning of royalties, this article analyzes the differences between royalties and other income. Characterization issues arising from the transfer of computer software are also considered. The South Korea-U.S. tax treaty adopts the place of use rule. The Korean domestic tax laws prescribe both the place of use rule and the place of payment rule, as well as impose taxation on unregistered intangible property....
Inludes bibliographical references.The word "royalty" is used in South Africa's Income Tax Act No. 5...
Beneficial owner is one of the most important concepts used in tax treaties. It limits the benefit o...
In most of OECD countries tax payers may request the tax authorities to issue advance tax rulings. T...
This essay reviewed and analyzed the general provisions for a business deduction of the U. S. and Ko...
Media has been one of the United States premier exports for several years. Recently, the Korean Wave...
This article provides preliminary guidelines for researchers and investors who are interested in Kor...
The transfer of intellectual property from a higher-tax country where R&D takes place to a lower-tax...
In this study authors made research into the origin of the term 'resident' in the Korean inc...
Royalties and license fees in this case are all payments made in connection with, among other things...
A research report submitted to the Faculty of Commerce, Law and Management in partial fulfilment of ...
Thesis (MComm) -- Stellenbosch University, 2011.ENGLISH ABSTRACT: The study’s focus is to provide an...
The Republic of Korea is one of the fastest-growing economies in Asia and the eighth-largest trading...
In this article the author intends to analyze the effectiveness of the current tax benefits on the &...
Korea's tax system does not much resemble those found in developed countries. The tax bases are narr...
This article written by Artem Fokin (LL.M.), a New York tax attorney practicing in the area of inter...
Inludes bibliographical references.The word "royalty" is used in South Africa's Income Tax Act No. 5...
Beneficial owner is one of the most important concepts used in tax treaties. It limits the benefit o...
In most of OECD countries tax payers may request the tax authorities to issue advance tax rulings. T...
This essay reviewed and analyzed the general provisions for a business deduction of the U. S. and Ko...
Media has been one of the United States premier exports for several years. Recently, the Korean Wave...
This article provides preliminary guidelines for researchers and investors who are interested in Kor...
The transfer of intellectual property from a higher-tax country where R&D takes place to a lower-tax...
In this study authors made research into the origin of the term 'resident' in the Korean inc...
Royalties and license fees in this case are all payments made in connection with, among other things...
A research report submitted to the Faculty of Commerce, Law and Management in partial fulfilment of ...
Thesis (MComm) -- Stellenbosch University, 2011.ENGLISH ABSTRACT: The study’s focus is to provide an...
The Republic of Korea is one of the fastest-growing economies in Asia and the eighth-largest trading...
In this article the author intends to analyze the effectiveness of the current tax benefits on the &...
Korea's tax system does not much resemble those found in developed countries. The tax bases are narr...
This article written by Artem Fokin (LL.M.), a New York tax attorney practicing in the area of inter...
Inludes bibliographical references.The word "royalty" is used in South Africa's Income Tax Act No. 5...
Beneficial owner is one of the most important concepts used in tax treaties. It limits the benefit o...
In most of OECD countries tax payers may request the tax authorities to issue advance tax rulings. T...