The proposal made in this paper is a modest one: that high-income countries should further the cause of reducing global inequality by ensuring that in their tax treaties with low-income countries they do not usurp needed revenues by reducing low-income countries\u27 ability to collect tax on income with a source in the low-income country. This argument is made in the specific context of the taxation of royalty payments, which present one of the most extreme examples of high-income countries unfairly confiscating revenues that appropriately belong to their low-income treaty partners. The Organisation for Economic Co-operation and Development (OECD) model tax treaty, which most high-income countries in the world closely follow in negotiating ...
Global income taxation in the country of residence is a legal dogma of international taxation. We qu...
In the years since the Organisation for Economic Cooperation and Development (OECD) adopted its firs...
This paper reports on a study of the tax treaty policy of a group of eleven East African countries. ...
Relative to at least some high-income countries, Canada has been willing to negotiate tax treaties t...
Low income countries often offer tax incentives to induce foreign investment, but the effectiveness ...
The viability of our international tax system hinges on two things: (1) safeguarding the effective f...
Bilateral tax treaties draw heavily from model conventions published by international organisations....
This article analyses the international tax principles in double tax treaties regarding the allocati...
Countries often enter into double tax treaties to encourage foreign direct investment by preventing ...
tax, tax administration, revenue, politicsThis paper is focused on the question: why do the governme...
peer reviewedWorldwide income taxation in the country of residence is a legal dogma of international...
Tax treaties and the allocation of taxing rights with developing countries ∗ Dimitri Paolini†, Pasqu...
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...
Chapter of a multidisciplinary international book co-edited by the author in the framework of a larg...
Global income taxation in the country of residence is a legal dogma of international taxation. We qu...
In the years since the Organisation for Economic Cooperation and Development (OECD) adopted its firs...
This paper reports on a study of the tax treaty policy of a group of eleven East African countries. ...
Relative to at least some high-income countries, Canada has been willing to negotiate tax treaties t...
Low income countries often offer tax incentives to induce foreign investment, but the effectiveness ...
The viability of our international tax system hinges on two things: (1) safeguarding the effective f...
Bilateral tax treaties draw heavily from model conventions published by international organisations....
This article analyses the international tax principles in double tax treaties regarding the allocati...
Countries often enter into double tax treaties to encourage foreign direct investment by preventing ...
tax, tax administration, revenue, politicsThis paper is focused on the question: why do the governme...
peer reviewedWorldwide income taxation in the country of residence is a legal dogma of international...
Tax treaties and the allocation of taxing rights with developing countries ∗ Dimitri Paolini†, Pasqu...
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...
Chapter of a multidisciplinary international book co-edited by the author in the framework of a larg...
Global income taxation in the country of residence is a legal dogma of international taxation. We qu...
In the years since the Organisation for Economic Cooperation and Development (OECD) adopted its firs...
This paper reports on a study of the tax treaty policy of a group of eleven East African countries. ...