In the Australian case of Bywater Investments Ltd v Commissioner of Taxation; Hua Wang Bank Berhad v Commissioner of Taxation (the Bywater caseB) the Australian High Court dealt with the question of whether certain companies were resident in Australia for income tax purposes. The majority answered this question by applying Australian domestic law. In a separate but concurring judgement, Gordon J also discussed the interpretation and application of the relevant double taxation treaty. This contribution analyses Gordon J's judgment to extract guidance from it for the South African courts on their interpretation of double taxation treaties. It is submitted that South African courts should also follow the "first step" proposed by Gordon J when ...
The recent 2007 tax case ITC 1819 (2007) 69 SATC 159 is noteworthy on two grounds. First, it is one ...
M.Com.Abstract: Base Erosion and Profit Shifting (BEPS) creates a risk for tax collections, the righ...
In this era of globalisation, developing countries have resorted to double tax agreements in order t...
CITATION: Du Plessis, I. 2020. Double taxation treaty interpretation : lessons from a case down unde...
In the Australian case of Bywater Investments Ltd v Commissioner of Taxation; Hua Wang Bank Berhad v...
CITATION: Du Plessis, J. 2016. The interpretation of double taxation agreements : a comparative eval...
There are different opinions as to the process whereby double taxation agreements (DTAs) are incorpo...
There are different opinions as to the process whereby double taxation agreements (DTAs) are incorpo...
This article investigates the legal status of Double Taxation Agreements, and the relationship betwe...
There are different opinions as to the process whereby double taxation agreements (DTAs) are incorpo...
A research report submitted to the faculty of Commerce, Law and Management, University of the Witwat...
CITATION: Jansen van Rensburg, E. 2019. The application and interpretation by South African courts o...
PhDThis thesis analyses which principles should govern the interpretation of tax treaties. This fie...
South African resident companies engaged in the exploration for and production of oil and gas outsid...
General renvoi clauses in DTAs based on article 3(2) of the OECD MTC provide that an undefined term ...
The recent 2007 tax case ITC 1819 (2007) 69 SATC 159 is noteworthy on two grounds. First, it is one ...
M.Com.Abstract: Base Erosion and Profit Shifting (BEPS) creates a risk for tax collections, the righ...
In this era of globalisation, developing countries have resorted to double tax agreements in order t...
CITATION: Du Plessis, I. 2020. Double taxation treaty interpretation : lessons from a case down unde...
In the Australian case of Bywater Investments Ltd v Commissioner of Taxation; Hua Wang Bank Berhad v...
CITATION: Du Plessis, J. 2016. The interpretation of double taxation agreements : a comparative eval...
There are different opinions as to the process whereby double taxation agreements (DTAs) are incorpo...
There are different opinions as to the process whereby double taxation agreements (DTAs) are incorpo...
This article investigates the legal status of Double Taxation Agreements, and the relationship betwe...
There are different opinions as to the process whereby double taxation agreements (DTAs) are incorpo...
A research report submitted to the faculty of Commerce, Law and Management, University of the Witwat...
CITATION: Jansen van Rensburg, E. 2019. The application and interpretation by South African courts o...
PhDThis thesis analyses which principles should govern the interpretation of tax treaties. This fie...
South African resident companies engaged in the exploration for and production of oil and gas outsid...
General renvoi clauses in DTAs based on article 3(2) of the OECD MTC provide that an undefined term ...
The recent 2007 tax case ITC 1819 (2007) 69 SATC 159 is noteworthy on two grounds. First, it is one ...
M.Com.Abstract: Base Erosion and Profit Shifting (BEPS) creates a risk for tax collections, the righ...
In this era of globalisation, developing countries have resorted to double tax agreements in order t...