Mutual agreement procedure (MAP) is an important instrument for resolving disputes on taxation not in accordance with the provisions of double taxation agreements. Nevertheless, its potential was not applied widely neither by taxpayers nor by the competent authorities in Ukraine. In 2020, the national legislator introduced changes to the Tax Code of Ukraine that might positively impact on the practice of application of MAP in Ukraine and make it more certain and comfortable for taxpayers and tax authorities. The taxpayers received the right to initiate MAP between competent authorities of contracting states in case of taxation not in accordance with the provisions of double taxation treaties. At the same time, the new legal provisions have ...
The article analyzes the main documents of the Council of Europe that are important in the context o...
The article considers the peculiarities of the implementation of state tax policy in Ukraine. It is ...
Taxation is basic source of funds for countries. Tax authorities need information on business activi...
The relevance of the study is determined by the fact that the issue of a tax dispute resolution is a...
Due to Ukrainian aspirations of accession to the European Union, a number of international treaties ...
M.Com. (South African and International Taxation)International tax treaties are unique bilateral neg...
Transfer pricing for the tax legislation of Ukraine is a new phenomenon. This situation has caused a...
Transfer pricing was first legislated by the US Tax Code. An unbiased assessment of the terms of the...
The main purpose of the study is to analyze the rules of taxation of non-resident payments for consu...
The purpose of this study was to describe the current state of tax control over transfer pricing in ...
For several years Article 25 of the Model Tax Convention of the Organisation for Economic Co-operati...
Ukraine is going through the stage of complex structural-sectoral reforms directed towards increasin...
Tax Treaty dispute resolution through the Mutual Assistance Procedure (MAP) is particularly relevant...
© 2019, Research Trend. All rights reserved. One of the key tasks of the international tax agenda at...
The purpose of the study is a legal analysis of the current supranational tax legislation of the Eur...
The article analyzes the main documents of the Council of Europe that are important in the context o...
The article considers the peculiarities of the implementation of state tax policy in Ukraine. It is ...
Taxation is basic source of funds for countries. Tax authorities need information on business activi...
The relevance of the study is determined by the fact that the issue of a tax dispute resolution is a...
Due to Ukrainian aspirations of accession to the European Union, a number of international treaties ...
M.Com. (South African and International Taxation)International tax treaties are unique bilateral neg...
Transfer pricing for the tax legislation of Ukraine is a new phenomenon. This situation has caused a...
Transfer pricing was first legislated by the US Tax Code. An unbiased assessment of the terms of the...
The main purpose of the study is to analyze the rules of taxation of non-resident payments for consu...
The purpose of this study was to describe the current state of tax control over transfer pricing in ...
For several years Article 25 of the Model Tax Convention of the Organisation for Economic Co-operati...
Ukraine is going through the stage of complex structural-sectoral reforms directed towards increasin...
Tax Treaty dispute resolution through the Mutual Assistance Procedure (MAP) is particularly relevant...
© 2019, Research Trend. All rights reserved. One of the key tasks of the international tax agenda at...
The purpose of the study is a legal analysis of the current supranational tax legislation of the Eur...
The article analyzes the main documents of the Council of Europe that are important in the context o...
The article considers the peculiarities of the implementation of state tax policy in Ukraine. It is ...
Taxation is basic source of funds for countries. Tax authorities need information on business activi...