The complex interconnections characterizing the relationship between the international tax treaty law system and the EU tax law system increasingly require attention. Accordingly, within the framework of this article, the judgment of the EU Court of Justice concerning the Danish cases on interest has provided the concrete opportunity to evaluate the significant effects that a lack of coordination between these two systems may have. In fact, due to the broad economic concept of beneficial owner applied by the EU Court of Justice vis-à-vis the narrower OECD concept, there is no complete coordination between EU tax law and international tax treaty law. Even if, under the OECD approach, further conduit arrangements are covered under Article 7(1...
Beneficial owner is one of the most important concepts used in tax treaties. It limits the benefit o...
This article provides a comprehensive jurisprudential analysis of the principle of proportionality i...
This thesis examines whether the fundamental freedoms of the EC Treaty prescribe most-favoured-natio...
As will be demonstrated in this article, the concepts of abuse adopted at EU and OECD level do not c...
The interpretation of the concept of 'beneficial ownership' in the field of cross-border taxation is...
In the Danish cases, the Court of Justice of the European Union argued that Member States must deny...
Free movement of goods, capital, workers and services have stimulated economic and social interactio...
This authoritative book provides a structural, global view of evolving judicial and doctrinal trends...
The EU principle of prohibition of abuse of rights applied to taxation reflects the need to consider...
The OECD Model Tax Convention contains a beneficial owner requirement for the taxation of dividend, ...
The thesis presents fairness as a concept that can be defined in several ways. The different definit...
The term ‘beneficial owner’ was first internationally introduced by the OECD in the Model Convention...
European Union (EU) law has played a key role in enforcing the EU BEPS agenda, while also introducin...
This article analyses the recent rulings from the European Court of Justice in two Danish cases and ...
This article analyses the recent rulings of the Court of Justice of the European Union in two Danish...
Beneficial owner is one of the most important concepts used in tax treaties. It limits the benefit o...
This article provides a comprehensive jurisprudential analysis of the principle of proportionality i...
This thesis examines whether the fundamental freedoms of the EC Treaty prescribe most-favoured-natio...
As will be demonstrated in this article, the concepts of abuse adopted at EU and OECD level do not c...
The interpretation of the concept of 'beneficial ownership' in the field of cross-border taxation is...
In the Danish cases, the Court of Justice of the European Union argued that Member States must deny...
Free movement of goods, capital, workers and services have stimulated economic and social interactio...
This authoritative book provides a structural, global view of evolving judicial and doctrinal trends...
The EU principle of prohibition of abuse of rights applied to taxation reflects the need to consider...
The OECD Model Tax Convention contains a beneficial owner requirement for the taxation of dividend, ...
The thesis presents fairness as a concept that can be defined in several ways. The different definit...
The term ‘beneficial owner’ was first internationally introduced by the OECD in the Model Convention...
European Union (EU) law has played a key role in enforcing the EU BEPS agenda, while also introducin...
This article analyses the recent rulings from the European Court of Justice in two Danish cases and ...
This article analyses the recent rulings of the Court of Justice of the European Union in two Danish...
Beneficial owner is one of the most important concepts used in tax treaties. It limits the benefit o...
This article provides a comprehensive jurisprudential analysis of the principle of proportionality i...
This thesis examines whether the fundamental freedoms of the EC Treaty prescribe most-favoured-natio...