peer reviewedDirective 2018/822 (‘DAC6’) aims at ensuring the exchange of information between Member States of potentially tax-aggressive arrangements. To do so, the European legislator has entrusted intermediaries across the European Union with the task of gathering and reporting a number of potentially aggressive tax arrangements to improve tax transparency and stifle tax avoidance. Unfortunately, a closer analysis of the text has revealed multiple issues that may threaten the well-functioning of the system and could impede the action of the intermediaries. From missing definitions and a lack of guidance to new concepts in dire need of proper interpretation, intermediaries are left with a daunting task to tackle. Risks of delays and over-...
In 2014, the International Consortium of Investigative Journalists broke the “LuxLeaks” scandal, rev...
The European Union is in the process to establish “public country-by-country reporting” as a new and...
The main aim of this paper is to present issues related to exchange of tax information. The author f...
peer reviewedDirective 2018/822 (‘DAC6’) aims at ensuring the exchange of information between Member...
As of July 1, 2020, a new obligation is imposed for tax intermediaries established by the European U...
The focus of this thesis is the EU Directive on mandatory disclosure rules on intermediaries that ma...
The Directive (EU) 2021/2101 of the European Parliament and of the Council of 24 November 2021 amend...
Human rights are the basis by which the dignity of the human being is guaranteed. This is especially...
The growing digitalization of the world’s economy and the further integration of the EU:s internal m...
Treball de Fi de Grau en Dret. Curs 2020-2021Tutor: Joan Hortalà VallvéThe use of tax rulings for ta...
The authors, in this article, discuss the Netherlands implementation of DAC6. In particular, they ad...
The knowledge of the taxable event and the identity of the taxpayer is the first and inevitable prec...
Defence date: 14 November 2016Examining Board: Professor Adrienne Héritier, EUI/Supervisor; Professo...
On 21 June 2017, the European Commission released its Proposal on transparency rules for tax interme...
In this contribution the authors seek to lay down the theoretical bases of a DRR system for intra-Co...
In 2014, the International Consortium of Investigative Journalists broke the “LuxLeaks” scandal, rev...
The European Union is in the process to establish “public country-by-country reporting” as a new and...
The main aim of this paper is to present issues related to exchange of tax information. The author f...
peer reviewedDirective 2018/822 (‘DAC6’) aims at ensuring the exchange of information between Member...
As of July 1, 2020, a new obligation is imposed for tax intermediaries established by the European U...
The focus of this thesis is the EU Directive on mandatory disclosure rules on intermediaries that ma...
The Directive (EU) 2021/2101 of the European Parliament and of the Council of 24 November 2021 amend...
Human rights are the basis by which the dignity of the human being is guaranteed. This is especially...
The growing digitalization of the world’s economy and the further integration of the EU:s internal m...
Treball de Fi de Grau en Dret. Curs 2020-2021Tutor: Joan Hortalà VallvéThe use of tax rulings for ta...
The authors, in this article, discuss the Netherlands implementation of DAC6. In particular, they ad...
The knowledge of the taxable event and the identity of the taxpayer is the first and inevitable prec...
Defence date: 14 November 2016Examining Board: Professor Adrienne Héritier, EUI/Supervisor; Professo...
On 21 June 2017, the European Commission released its Proposal on transparency rules for tax interme...
In this contribution the authors seek to lay down the theoretical bases of a DRR system for intra-Co...
In 2014, the International Consortium of Investigative Journalists broke the “LuxLeaks” scandal, rev...
The European Union is in the process to establish “public country-by-country reporting” as a new and...
The main aim of this paper is to present issues related to exchange of tax information. The author f...