The implementation of the G20/OECD global minimum tax (“GloBE”) raises an immediate and practical challenge in terms of dispute resolution. On the one hand, the GloBE framework will require an unprecedented degree of coordination between jurisdictions with naturally a high potential for bilateral and multilateral disputes. On the other hand, it is foreseen that the GloBE rules will not be incorporated into a Multilateral Convention. Rather, the GloBE architecture will be exclusively transposed into domestic laws through so-called “model rules”. Therefore, at least in an initial phase, no ad hoc international binding dispute resolution mechanism will be available to solve GloBE disputes. In order to address this pressing challenge, this arti...
M.Com. (South African and International Taxation)International tax treaties are unique bilateral neg...
To reform international taxation requires united and uniform global agreement. The OECD/G20 Base Ero...
The subject of the article. The article represents a research of conceptual properties and issues of...
The implementation of the G20/OECD global minimum tax (“GloBE”) raises an immediate and practical ch...
The OECD Programme of Work on the tax challenges arising from the digitalization of the economy comp...
For several years Article 25 of the Model Tax Convention of the Organisation for Economic Co-operati...
Introductory remarks on the arbitration method in international tax matters; The evolution of inter...
The article discusses the structural dynamics that will underlie the international negotiations prom...
The OECD Programme of Work on the tax challenges arising from the digitalization of the economy comp...
Both the OECD Model Tax Convention on Income and Capital (OECD Model) and the United Nations Model D...
It is in the interest of most states to eliminate double taxation (i.e. the payment of the same tax ...
International tax law has not been discussed much by the lawyers involved in public international la...
In view of the adopted SDGs in 2015 and their focus on domestic resource mobilisation, this diploma ...
The G7’s “global minimum tax” accord—followed by a new version of the OECD’s “Two Pillar Solution” a...
This two-volume set offers an in-depth analysis of the leading tax treaty disputes in the G20 and be...
M.Com. (South African and International Taxation)International tax treaties are unique bilateral neg...
To reform international taxation requires united and uniform global agreement. The OECD/G20 Base Ero...
The subject of the article. The article represents a research of conceptual properties and issues of...
The implementation of the G20/OECD global minimum tax (“GloBE”) raises an immediate and practical ch...
The OECD Programme of Work on the tax challenges arising from the digitalization of the economy comp...
For several years Article 25 of the Model Tax Convention of the Organisation for Economic Co-operati...
Introductory remarks on the arbitration method in international tax matters; The evolution of inter...
The article discusses the structural dynamics that will underlie the international negotiations prom...
The OECD Programme of Work on the tax challenges arising from the digitalization of the economy comp...
Both the OECD Model Tax Convention on Income and Capital (OECD Model) and the United Nations Model D...
It is in the interest of most states to eliminate double taxation (i.e. the payment of the same tax ...
International tax law has not been discussed much by the lawyers involved in public international la...
In view of the adopted SDGs in 2015 and their focus on domestic resource mobilisation, this diploma ...
The G7’s “global minimum tax” accord—followed by a new version of the OECD’s “Two Pillar Solution” a...
This two-volume set offers an in-depth analysis of the leading tax treaty disputes in the G20 and be...
M.Com. (South African and International Taxation)International tax treaties are unique bilateral neg...
To reform international taxation requires united and uniform global agreement. The OECD/G20 Base Ero...
The subject of the article. The article represents a research of conceptual properties and issues of...