This thesis examines whether the fundamental freedoms of the EC Treaty prescribe most-favoured-nation (MFN) treatment. The right to MFN treatment concerns the issue whether taxpayers resident in one Member State can “cherry-pick” the most beneficial tax treaty available to other taxpayers. Two issues of fundamental impor-tance are examined in this thesis. First, whether a resident of a Member State (A) who receives income in another Member State (B), can claim from that state, the most beneficial tax treaty available to a resident of a third Member State (C). Second, whether a resident can claim from his state of residence (A), the same tax treatment as provided in a tax treaty concluded by his state of residence and another Member State (C...
Although direct taxation falls under the sovereignty of each individual Member State, that sovereign...
Case 33872C, which was decided by Luxembourg’s Cour administrative on 18 December 2014, concerned tw...
Double taxation is known as restricting the free flow of capital and accordingly results in a limite...
This thesis examines whether the fundamental freedoms of the EC Treaty prescribe most-favoured-natio...
The Most-Favoured-Nation treatment has been a common feature in international economic relations for...
According to case law from the Court of Justice of the European Union (CJEU), a Member State is not ...
Double taxation treaties play a vital part in the international relations between states regarding t...
The OECD Model Tax Convention contains a beneficial owner requirement for the taxation of dividend, ...
This paper tackles some issues concerning the scope of application of the most-favourednation clause...
It seems like it can never be said enough times: in order to uphold the objectives of the Internal M...
The question whether a dual resident taxpayer is entitled to tax treaties concluded by each residenc...
In recent years, the European Court of Justice (ECJ) has invalidated many income tax law provisions ...
In this article the author aims to reveal the legal content of the Fundamental Freedoms enshrined in...
The provisions of the EC Treaty which deal with Member State tax measures clearly seem to indicate ...
In recent years, the European Court of Justice (ECJ) has invalidated many income tax law provisions ...
Although direct taxation falls under the sovereignty of each individual Member State, that sovereign...
Case 33872C, which was decided by Luxembourg’s Cour administrative on 18 December 2014, concerned tw...
Double taxation is known as restricting the free flow of capital and accordingly results in a limite...
This thesis examines whether the fundamental freedoms of the EC Treaty prescribe most-favoured-natio...
The Most-Favoured-Nation treatment has been a common feature in international economic relations for...
According to case law from the Court of Justice of the European Union (CJEU), a Member State is not ...
Double taxation treaties play a vital part in the international relations between states regarding t...
The OECD Model Tax Convention contains a beneficial owner requirement for the taxation of dividend, ...
This paper tackles some issues concerning the scope of application of the most-favourednation clause...
It seems like it can never be said enough times: in order to uphold the objectives of the Internal M...
The question whether a dual resident taxpayer is entitled to tax treaties concluded by each residenc...
In recent years, the European Court of Justice (ECJ) has invalidated many income tax law provisions ...
In this article the author aims to reveal the legal content of the Fundamental Freedoms enshrined in...
The provisions of the EC Treaty which deal with Member State tax measures clearly seem to indicate ...
In recent years, the European Court of Justice (ECJ) has invalidated many income tax law provisions ...
Although direct taxation falls under the sovereignty of each individual Member State, that sovereign...
Case 33872C, which was decided by Luxembourg’s Cour administrative on 18 December 2014, concerned tw...
Double taxation is known as restricting the free flow of capital and accordingly results in a limite...