The subject. The developing approaches towards the classification of various types of income received as a result of electronic transactions for the purposes of domestic tax legislation and double tax treaties at the level of international tax governance and at the level of Russian tax legislation and practice.The aim of this paper is to test the hypothesis that the legal approach and criteria developed in the course of work of global tax governance institutions (OECD and UN) towards income classification from cross-border transactions in electronic form can be used as a basis for legal approach towards this issue in Russia.The authors use the methods of comparative legal analysis and logical-analytical method. In particular authors perform...
In the future, digital technologies will make it possible to increase the transparency of the econom...
Subject. The influence of internationalization of tax law on Russian tax law enforcement in the area...
The "digital economy", a well-established notion in international tax law, is problematic for nation...
The article discusses the initiatives of the Organization for Economic Cooperation and Development ...
The article concerns the patterns of development of the tax legislation of the Russian Federation an...
The subject of the article is the analysis of alternative concepts of permanent establishment in th...
The subject. The research concerns analysis of legal status of a new participant of tax relations in...
This contribution deals with the legal issues of obtaining tax-related information from the domestic...
The question of characterizing income by its source in the context of electronic commerce has brough...
The electronic commerce has raised complicated tax-related matters, not least connected to the OECD ...
The digital economy is increasingly replacing the everyday economy. The continued rapid pace of tech...
This contribution deals with signifi cant changes in regulation of cross-border taxation in Russia t...
In the 20¬th century, most developed countries taxed and redistributed - either in money or in kind ...
The work is devoted to the prospects of transformation of bilateral tax treaties in digital conditio...
The paper analyzes the legal relationship connected with the development of instruments for automati...
In the future, digital technologies will make it possible to increase the transparency of the econom...
Subject. The influence of internationalization of tax law on Russian tax law enforcement in the area...
The "digital economy", a well-established notion in international tax law, is problematic for nation...
The article discusses the initiatives of the Organization for Economic Cooperation and Development ...
The article concerns the patterns of development of the tax legislation of the Russian Federation an...
The subject of the article is the analysis of alternative concepts of permanent establishment in th...
The subject. The research concerns analysis of legal status of a new participant of tax relations in...
This contribution deals with the legal issues of obtaining tax-related information from the domestic...
The question of characterizing income by its source in the context of electronic commerce has brough...
The electronic commerce has raised complicated tax-related matters, not least connected to the OECD ...
The digital economy is increasingly replacing the everyday economy. The continued rapid pace of tech...
This contribution deals with signifi cant changes in regulation of cross-border taxation in Russia t...
In the 20¬th century, most developed countries taxed and redistributed - either in money or in kind ...
The work is devoted to the prospects of transformation of bilateral tax treaties in digital conditio...
The paper analyzes the legal relationship connected with the development of instruments for automati...
In the future, digital technologies will make it possible to increase the transparency of the econom...
Subject. The influence of internationalization of tax law on Russian tax law enforcement in the area...
The "digital economy", a well-established notion in international tax law, is problematic for nation...