Thesis (MComm) -- Stellenbosch University, 2011.ENGLISH ABSTRACT: The study’s focus is to provide an analysis of the development of the definition of royalties in the context of Model Tax Conventions (‘MTC’). The secondary focus of the study is to analyse the evolution of the concept of beneficial ownership as a limitation to the application of the treaty benefits contained in royalty provisions of the MTC’s. In terms of the focus of the study, it is concluded that the most significant developments with regards to the definition of royalties, since originating in the League of Nations Model Convention’s first Draft Model in 1928, occurred during the final Committee meetings held in Mexico and London (producing the Mexico and London Draft Mo...
M.Com. (SA and International Tax)The term “beneficial owner” is found in 64 of the 71 double tax agr...
The OECD Model Tax Convention contains a beneficial owner requirement for the taxation of dividend, ...
The interpretation of the concept of 'beneficial ownership' in the field of cross-border taxation is...
Beneficial ownership is a concept used in the OECD Model Tax Convention to deny the treaty benefits ...
The term ‘beneficial owner’ was first internationally introduced by the OECD in the Model Convention...
The concept of “beneficial ownership” is frequently used in international tax treaties. The concept ...
Inludes bibliographical references.The word "royalty" is used in South Africa's Income Tax Act No. 5...
M.Com. (South African and International Taxation)The term “beneficial ownership” was first included ...
Beneficial owner is one of the most important concepts used in tax treaties. It limits the benefit o...
The beneficial ownership concept has constituted for more than half a century one of the most fundam...
Includes abstract.Includes bibliographical references.The aim of this dissertation is to establish t...
The use of conduit company treaty shopping structures is often regarded as an impermissible erosion ...
Free movement of goods, capital, workers and services have stimulated economic and social interactio...
A research report submitted to the Faculty of Commerce, Law and Management in partial fulfilment of ...
Legal fictions have been included in various tax laws in many countries. In respect of tax treaties,...
M.Com. (SA and International Tax)The term “beneficial owner” is found in 64 of the 71 double tax agr...
The OECD Model Tax Convention contains a beneficial owner requirement for the taxation of dividend, ...
The interpretation of the concept of 'beneficial ownership' in the field of cross-border taxation is...
Beneficial ownership is a concept used in the OECD Model Tax Convention to deny the treaty benefits ...
The term ‘beneficial owner’ was first internationally introduced by the OECD in the Model Convention...
The concept of “beneficial ownership” is frequently used in international tax treaties. The concept ...
Inludes bibliographical references.The word "royalty" is used in South Africa's Income Tax Act No. 5...
M.Com. (South African and International Taxation)The term “beneficial ownership” was first included ...
Beneficial owner is one of the most important concepts used in tax treaties. It limits the benefit o...
The beneficial ownership concept has constituted for more than half a century one of the most fundam...
Includes abstract.Includes bibliographical references.The aim of this dissertation is to establish t...
The use of conduit company treaty shopping structures is often regarded as an impermissible erosion ...
Free movement of goods, capital, workers and services have stimulated economic and social interactio...
A research report submitted to the Faculty of Commerce, Law and Management in partial fulfilment of ...
Legal fictions have been included in various tax laws in many countries. In respect of tax treaties,...
M.Com. (SA and International Tax)The term “beneficial owner” is found in 64 of the 71 double tax agr...
The OECD Model Tax Convention contains a beneficial owner requirement for the taxation of dividend, ...
The interpretation of the concept of 'beneficial ownership' in the field of cross-border taxation is...