The article deals with one of the cases when permanent establishment (PE) is not usually formed – the provision of Art. 5, para.7 of the Model Tax Convention on Income and Capital of Organisation for Economic Co-operation and Development (OECD). The main aim of the study is to outline its legal nature, focusing on the key points in it. Although it is not distinguished by particular challenges of theoretical and practical nature, there are certain aspects that need special attention, as they can be interpreted as an exception to what is written on it
This master's thesis conducts the legal analysis of the concept of a permanent establishment and its...
The concept of permanent establishment introduced over a century ago became obsolete in the XXI age....
The concept of permanent establishment introduced over a century ago became obsolete in the XXI age....
The purpose of this paper is to present some challenges regarding the concepts “permanent establishm...
1 Abstract Title: The concept of the permanent establishment in the tax law Author: Marek Vaněk Supe...
1 Abstract Title: The concept of the permanent establishment in the tax law Author: Marek Vaněk Supe...
1 Abstract Title: The concept of the permanent establishment in the tax law Author: Marek Vaněk Supe...
1 Abstract Title: The concept of the permanent establishment in the tax law Author: Marek Vaněk Supe...
The article focuses on the essence and taxing status of a permanent establishment as a key instituti...
Tema ovog diplomskog rada je stalna poslovna jedinica (dalje: SPJ) kao temeljni institut međunarodno...
Tema ovog diplomskog rada je stalna poslovna jedinica (dalje: SPJ) kao temeljni institut međunarodno...
Tema ovog diplomskog rada je stalna poslovna jedinica (dalje: SPJ) kao temeljni institut međunarodno...
The permanent establishment (PE) has always been of interest in the field of international taxes in ...
This master's thesis conducts the legal analysis of the concept of a permanent establishment and its...
In 2008 the Committee of Fiscal Affairs of OECD published its report on profit attributable to a per...
This master's thesis conducts the legal analysis of the concept of a permanent establishment and its...
The concept of permanent establishment introduced over a century ago became obsolete in the XXI age....
The concept of permanent establishment introduced over a century ago became obsolete in the XXI age....
The purpose of this paper is to present some challenges regarding the concepts “permanent establishm...
1 Abstract Title: The concept of the permanent establishment in the tax law Author: Marek Vaněk Supe...
1 Abstract Title: The concept of the permanent establishment in the tax law Author: Marek Vaněk Supe...
1 Abstract Title: The concept of the permanent establishment in the tax law Author: Marek Vaněk Supe...
1 Abstract Title: The concept of the permanent establishment in the tax law Author: Marek Vaněk Supe...
The article focuses on the essence and taxing status of a permanent establishment as a key instituti...
Tema ovog diplomskog rada je stalna poslovna jedinica (dalje: SPJ) kao temeljni institut međunarodno...
Tema ovog diplomskog rada je stalna poslovna jedinica (dalje: SPJ) kao temeljni institut međunarodno...
Tema ovog diplomskog rada je stalna poslovna jedinica (dalje: SPJ) kao temeljni institut međunarodno...
The permanent establishment (PE) has always been of interest in the field of international taxes in ...
This master's thesis conducts the legal analysis of the concept of a permanent establishment and its...
In 2008 the Committee of Fiscal Affairs of OECD published its report on profit attributable to a per...
This master's thesis conducts the legal analysis of the concept of a permanent establishment and its...
The concept of permanent establishment introduced over a century ago became obsolete in the XXI age....
The concept of permanent establishment introduced over a century ago became obsolete in the XXI age....