In 1993, the Committee on Fiscal Affairs (CFA) formed a Working Group to study the application of the OECD Model Tax Convention (OECD MTC) to partnerships, trusts, and other non-corporate entities. In Issues in International Taxation no 6 – The Application of the OECD Model Tax Convention to Partnerships (OECD Report), different cases involving the issues relating to the taxation of partnerships are discussed. In dealing with these cases the CFA tried to develop general principles. There are several issues involved when discussing the taxation of partnerships. Depending on the circumstances in the actual case different tax issues arise. The OECD Report resulted almost exclusively in making changes in the commentary to the OECD MTC (OECD Com...
The ability of some countries to unilaterally change, or override;\u27 their tax treaties through d...
The subject of the article. The article represents a research of conceptual properties and issues of...
This article provides critical reflections on the 2017 revision of article 4(3) of the OECD Model Co...
In 1993, the Committee on Fiscal Affairs (CFA) formed a Working Group to study the application of th...
Although taxation matters are generally accepted to be an issue of national concern, increasing atte...
The Interpretation of Income Tax treaties with particular reference to the Commentaries on the OECD ...
Departures from the OECD Model and Commentaries, comprising the proceedings and working documents of...
This article examines the Multilateral Convention to Implement Tax Treaty Related Measures to Preven...
Since many years, international tax law experts debate the relevance of changes to OECD Commentaries...
This article discusses the temporal aspects of tax treaties. In particular, it focuses on whether th...
In this article, the roles and value of the observations on the OECD Commentaries in the Interpretat...
We offer the first attempt at empirically testing the level of transnational consensus on the legal ...
The value of the observations on the OECD Commentaries for the purposes of interpreting double taxat...
Analytical commentaries on OECD and UN model provisions, drawing on actual tax treaty practice and c...
The benefits of a tax treaty are generally granted to persons who are residents of one of the Contra...
The ability of some countries to unilaterally change, or override;\u27 their tax treaties through d...
The subject of the article. The article represents a research of conceptual properties and issues of...
This article provides critical reflections on the 2017 revision of article 4(3) of the OECD Model Co...
In 1993, the Committee on Fiscal Affairs (CFA) formed a Working Group to study the application of th...
Although taxation matters are generally accepted to be an issue of national concern, increasing atte...
The Interpretation of Income Tax treaties with particular reference to the Commentaries on the OECD ...
Departures from the OECD Model and Commentaries, comprising the proceedings and working documents of...
This article examines the Multilateral Convention to Implement Tax Treaty Related Measures to Preven...
Since many years, international tax law experts debate the relevance of changes to OECD Commentaries...
This article discusses the temporal aspects of tax treaties. In particular, it focuses on whether th...
In this article, the roles and value of the observations on the OECD Commentaries in the Interpretat...
We offer the first attempt at empirically testing the level of transnational consensus on the legal ...
The value of the observations on the OECD Commentaries for the purposes of interpreting double taxat...
Analytical commentaries on OECD and UN model provisions, drawing on actual tax treaty practice and c...
The benefits of a tax treaty are generally granted to persons who are residents of one of the Contra...
The ability of some countries to unilaterally change, or override;\u27 their tax treaties through d...
The subject of the article. The article represents a research of conceptual properties and issues of...
This article provides critical reflections on the 2017 revision of article 4(3) of the OECD Model Co...