The use of conduit company treaty shopping structures is often regarded as an impermissible erosion of a country’s tax base. For a developing country, such as South Africa, the protection of its tax base is an important policy consideration. Arguably, one way of combatting conduit company treaty shopping structures is by including in a country’s double taxation agreements the beneficial ownership requirement set out in Article 10(2) of the OECD MTC. The study examines how a South African court would interpret this requirement in provisions in South African double taxation agreements in the context of conduit company treaty shopping involving conduit companies receiving dividends. The study firstly considers whether the beneficial ownership ...
Free movement of goods, capital, workers and services have stimulated economic and social interactio...
Thesis (LLD)--Stellenbosch University, 2019.ENGLISH ABSTRACT : Companies are legal persons and as mu...
A constitutional analysis of a differentiated tax treatment of residents and non-residents in respec...
Includes abstract.Includes bibliographical references.The aim of this dissertation is to establish t...
M.Com. (South African and International Taxation)The term “beneficial ownership” was first included ...
In the years since the Organisation for Economic Cooperation and Development (OECD) adopted its firs...
M.Com. (SA and International Tax)The term “beneficial owner” is found in 64 of the 71 double tax agr...
Beneficial ownership is a concept used in the OECD Model Tax Convention to deny the treaty benefits ...
Beneficial owner is one of the most important concepts used in tax treaties. It limits the benefit o...
Thesis (LLD)--Stellenbosch University, 2014.ENGLISH ABSTRACT: Trusts are used for a variety of purpo...
Countries enter into double tax agreements with the economic objective of preventing double taxation...
Thesis (MComm) -- Stellenbosch University, 2011.ENGLISH ABSTRACT: The study’s focus is to provide an...
The concept of “beneficial ownership” is frequently used in international tax treaties. The concept ...
M.Com.Abstract: Base Erosion and Profit Shifting (BEPS) creates a risk for tax collections, the righ...
Includes bibliographical references.This research paper analyses the income tax impact for internati...
Free movement of goods, capital, workers and services have stimulated economic and social interactio...
Thesis (LLD)--Stellenbosch University, 2019.ENGLISH ABSTRACT : Companies are legal persons and as mu...
A constitutional analysis of a differentiated tax treatment of residents and non-residents in respec...
Includes abstract.Includes bibliographical references.The aim of this dissertation is to establish t...
M.Com. (South African and International Taxation)The term “beneficial ownership” was first included ...
In the years since the Organisation for Economic Cooperation and Development (OECD) adopted its firs...
M.Com. (SA and International Tax)The term “beneficial owner” is found in 64 of the 71 double tax agr...
Beneficial ownership is a concept used in the OECD Model Tax Convention to deny the treaty benefits ...
Beneficial owner is one of the most important concepts used in tax treaties. It limits the benefit o...
Thesis (LLD)--Stellenbosch University, 2014.ENGLISH ABSTRACT: Trusts are used for a variety of purpo...
Countries enter into double tax agreements with the economic objective of preventing double taxation...
Thesis (MComm) -- Stellenbosch University, 2011.ENGLISH ABSTRACT: The study’s focus is to provide an...
The concept of “beneficial ownership” is frequently used in international tax treaties. The concept ...
M.Com.Abstract: Base Erosion and Profit Shifting (BEPS) creates a risk for tax collections, the righ...
Includes bibliographical references.This research paper analyses the income tax impact for internati...
Free movement of goods, capital, workers and services have stimulated economic and social interactio...
Thesis (LLD)--Stellenbosch University, 2019.ENGLISH ABSTRACT : Companies are legal persons and as mu...
A constitutional analysis of a differentiated tax treatment of residents and non-residents in respec...